HomeMy WebLinkAboutLW12-314 - Original - Kenyon Disend, PLLC - National Wildlife Federation v. FEMA - 02/14/2012 T cords �
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CONTRACT COVER SHEET
This is to be completed by the Contract Manager prior to submission
to City Clerks Office. All portions are to be completed.
If you have questions, please contact City Clerk's Office.
Vendor Name: Kenyon Disend, PLLC
Vendor Number:
JD Edwards Number
I,
Contract Number:
This is assigned by City Clerk's Office
Project Name: National Wildlife Federation v. FEMA
Description: ❑ Interlocal Agreement ❑ Change Order ❑ Amendment ❑ Contract
® Other: Letter agreement and conflict waiver
Contract Effective Date: 2/14/12 Termination Date: N/A
Contract Renewal Notice (Days): N/A
Number of days required notice for termination or renewal or amendment
Contract Manager: Kim Komoto Department: Law
Contract Amount: $0.00
Approval Authority: ® Department Director ❑ Mayor ❑ City Council
Detail: (i.e. address, location, parcel number, tax id, etc.):
As Of: 08/27/14
Michael R.Kenyon
Bruce L.Dlsend
® Shelley M.Kerslake
® Karl L.Sand
Chris D.Bacha
Margaret J,King
Bob C.Sterbank
Rachel B.Turpin
Ann Marie J.Soto
February 10,2012
Douglas Ruth Steven Peiffle
Assistant City Attorney City Attorney
City of Auburn City of Arlington
25 West Main Street PO Box 188
Auburn,WA 9.8001-4998 Arlington,WA 98223-0188
Scott Thomas David Clark Ball
City Attorney Assistant City Attorney
City of Burlington City of Everett
833 S Spruce St 2930 Wetmore Ave Ste 10-C
.Burlington, WA 98233-2810 Everett, WA 98201-4067
Peter Beckwith Tom Brubaker
Assistant City Attorney City Attorney
City of Federal Way City of Kent
33325 8th Ave. S. 220 Fourth Avenue
Federal Way, WA 98003 Kent, WA 98032
Kevin Rogerson William Bloor
City Attorney City Attorney .
City of Mount Vernon City of Port Angeles
P.O. Box 809 321 East 5th Street
910 Cleveland Avenue P.O. Box 1150
Mount Vemon,'WA 98273-9809 City, WA 98362
Kevin Yamamoto Patrick Anderson
City of Puyallup City Attorney
333 S. Meridian City of Snoqualmie
Puyallup,WA 98371 38624 SE River Street
P.O, Box 987
Snoqualmie,WA 98065
Larry Warren
City of Renton
P.O, Box 626
Renton,WA 98057
Kenyan Disend,M LC I The Municipal Law Firm I [I Front Street South ( Issaquah,WA 98027-3820 (Tel:(425)392.7090 Fax:(425)392-7071 ..1myondisend,com
City Attorneys
February 10,2012
Page 2
Re: National Wildlife Federation v. FEMA;
Case No.: 2:11-ev-02044-RSM
Dear Counsel:
This letter is to follow up concerning our recent discussions concerning legal
representation by our firm of your city ("City").
You have asked us to represent the City in efforts to intervene and defend against the
plaintiffs request for a preliminary injunction and other relief sought in the Complaint for
Declaratory and Injunctive Relief in the above-referenced litigation including, potentially,
matters relating to any request (if made) for re-initiation of consultation between the Federal
Emergency Management Agency ("FEMA") and. the National Marine Fisheries Service
("NMFS") concerning the biological effects of FEMA's operation of the National Flood
Insurance Program ("NFIP") upon salmon, steelhead, orca species listed as threatened or
endangered under the Endangered Species Act, 16 U.S.0 § 1531 et seq. ("ESA"). The above-
referenced cause number, and the potentially related re-initiation of consultation, are referred to
collectively herein as "the Litigation." We are not being asked to represent your City on a
permanent basis,or on other matters,but only with respect to the Litigation.
Before providing the requested representation, our firm has chosen to disclose to the City
potential areas of future conflict and seek your written consent to such representation. As you
may know, other similarly situated cities have also requested representation in the Litigation,
including but not limited to the Cities of Arlington, Auburn, Burlington, Everett, Federal Way,
Kent, Mount Vernon, Puyallup, Renton and Snoqualmie, And, existing municipal clients of our
firm, including Lake Forest Park, North Bend, Orting, Sultan and Tukwila, also desire that our
firm represent them in this matter. Further, I also serve as the City Attorney for the City of Lake
Forest Park;Mike Kenyon serves as the City Attorney for North Bend; Chris Bacha serves as the
City Attorney for the City of Orting; Margaret King serves as the City Attorney for the City of
Sultan, and Shelley Kerslake serves as the City Attorney for the City of Tukwila. Currently,
there are no legal disputes between your City and any of the other cities named here, and all of
the cities are similarly situated and will be similarly affected by the relief requested by the
Complaint. It is possible, however(although we believe unlikely),that at some point in the case
the various cities' interests may diverge; if a direct conflict arose, we might be required to cease
representing any of the parties to the direct conflict. It is also possible (we believe, again,
unlikely)that some dispute among the cities may arise unrelated to the above-referenced matter,
say, under one of several various interlocal agreements for regional services to which the cities
are parties. In such an event, I would not be representing your City in that dispute; your City
would be represented by its own counsel; my position as City Attorney, however, would call for j
me to continue to represent the City of Lake Forest Park, and the position of Mr. Bacha, Ms.
i
City Attorneys
February 10,2012
Page 3
King,and Ms.Kerslake would call for them to continue to represent their cities. Under the Rules
of Professional Conduct applicable to attorneys,I could only do so if. (1)1 reasonably believe(as
I do) that I will be able to provide competent and diligent representation to your City in the
above_referenced matter, and to Lake Forest Park in any separate matter involving your City
(with Mr. Bacha, Ms. King and Ms.. Kerslake likewise providing competent and diligent
representation to their cities); (2) the representation is not prohibited by law (it is not); (3) the
representation does not involve the assertion of a claim by your City, Lake Forest Park, Orting,
Sn1tan, or Tukwila, or other cities named above, against each other when represented by me in
litigation or another proceeding before a tribunal (it wouldn't, because your City would be
represented in any separate matter by you or another attorney, and other cities represented by
their counsel); and (4) your City and the other cities each give informed consent, confirmed in
writing.
For this 'reason, we are providing this disclosure to your City and other cities that have
requested our representation in the Litigation, and asking that they waive aiiy potential conflict
.(or appearance of the same) that might arise in the future; from our representation of multiple
cities in the above-referenced matter. If your City is willing to waive potential conflicts, and
engage Kenyon Disend, PLLC to represent it in the Litigation,please have your Mayor sign this
letter,in the space provided below and return it to us evidencing consent to the waiver. In the
meantime, because we are interested in providing, and are required to provide, a complete
disclosure of any potential conflict, if you have any questions or concerns regarding the scope of
our potential representation of your City,please do not hesitate to contact me.
If the City confirms its waiver of potential conflicts and request for representation in the
Litigation by our firm, we propose to handle the matter as follows. Our goal is to provide an
efticient,and economical legal defense while also maximizing the amount of leverage that can be
brought to bear by asserting a collective position on behalf of all intervening cities. A single
billing number has been established for the work done that collectively benefits all of the cities
represented in the Litigation. Work on the Litigation will primarily be performed by Bob
Sterbank, although Mike Kenyon, Chris Bacha, and/or other attorneys and paralegals as
appropriate may also work on the matter. The amounts billed under this general billing number,
at the rates set forth in Attachment A to the this letter, will be pro-rated in equal amounts to each
city represented, unless the cities agree to a different division of fees and costs via a separate
agreement. If other cities join later in the litigation, each will be billed its pro rata share of the
initial work,and an appropriate credit provided to each city that participated from the outset. We
believe that this pro rata approach will most fairly and efficiently distribute the common fees,
costs and expenses among all intervening cities. Beyond this, an individualized assessment may
also be appropriate to determine the best defense strategy for your particular city. We can
provide separate billing numbers for any city-specific work that may be necessary in this regard,
should the Litigation proceed to that stage and, if you would like, we will follow up with you
separately to discuss whether a unique defense strategy tailored to your city should be developed
City Attorneys
February 10,2012
Page 4
and/or pursued. The signature by your City's Mayor or City Manager(as applicable)below,will
also confirm your agreement to this approach unless and until you let us know otherwise.
Finally, because multiple cities are impacted by the Litigation but have common goals,
city attorneys for the participating cities have 'indicated their desire to share informatioin and
strategies pursuant to a joint defense agreement: Attached is a Joint Defense and Confidentiality
Agreement,which memorializes the participating cities' agreement to share legal strategies and
attorney-client and attorney work product privileged and confidential information,, while
prescHing the applicable privileges to such information that would be available if each citywere
proceeding separately. Please review the agreement .carefully and, if it meets with your
approval, have your mayor execute the agreement and return the signature page to us. We will
collect Signatures from each of the cities,and then provide you a complete, executed copy,
Thard< you for your attention to this matter, and thank you again for the opportunity to
represent your City.
'Very truly yours,
KENYON Dism),PLLC
Bob C. Sterbanlc
City Attorneys
February 10, 2012
Page 5
The City of City agrees to retain Kenyon Disend, PLLC, to waive potential conflicts that
.may arise by virtue of Kenyon Disend, PLLC's joint representation of the City of
I<16WO VA, and other cities in the Litigation, and to pay its equal,pro rata share
of attorneys' costs and expenses, all as outlined above.
Agreed:
By �I't l ►�(I
Its: by
I
KENYON DISEND, PLLC
HOURLY RATE SCHEDULE FOR YEAR 2012
ATTORNEYS:
Partners and Senior Attorneys:
Michael R. Kenyon $255.00
Bruce L. Disend $255.00
Shelley M. Kerslake $225.00
Chris D, Bacha $225.00
Bob C. Sterbank $225.00
Margaret J. King $220.00
Kari L. Sand $210.00
Associate Attorneys:
Ann Marie J. Soto $135.00-
Rachel B. Turpin $130.00
PARALEGALS:
Margaret C. Starkey $105.00
Sheryl A, Loewen $ 95.00
Pam M. Odegard $ 90.00
Mary Eichelberger $ 90.00
Terry Cox $ 90.00
Kathy Swoyer $ 90.00
LEGAL INTERNS: $105.00
i
ATTACHMENT A