Jarrod Lowrey v. City of Rio Rancho; Rio Rancho Public Schools; Rio Rancho Police Department; Connie Peterson, in her official and individual capacities; Lorenzo Green, in his official and individual capacities; Noah Trujillo, in his official and individual capacities; Brandon Maez, in his official and individual capacities; Elliana Lury, in her official and individual capacities; Matt Geisel, in his official and individual capacities; Josh Rubin, in his official and individual capacities; Lawrence Samuel, in his official and individual capacities; Mike McDermott, in his private capacity as 3rd party conspirator; Torenzo Johnson, in his private capacity as 3rd party conspirator; Stephen Smith, in his private capacity as 3rd party conspirator; Theresa Smith, in her private capacity as 3rd party conspirator; Melissa Montoya, in her private capacity as 3rd party conspirator; Ana Kuny Slock, in her private capacity as 3rd party conspirator; Raquel DeTomasso, in her private capacity as 3rd party conspirator; Bianca Fisher, in her private capacity as 3rd party conspirator; Michael Fisher, in his private capacity as 3rd party conspirator; Bobbie Martinez, in her private capacity as 3rd party conspirator.

CourtDistrict Court, D. New Mexico
DecidedNovember 5, 2025
Docket1:25-cv-00849
StatusUnknown

This text of Jarrod Lowrey v. City of Rio Rancho; Rio Rancho Public Schools; Rio Rancho Police Department; Connie Peterson, in her official and individual capacities; Lorenzo Green, in his official and individual capacities; Noah Trujillo, in his official and individual capacities; Brandon Maez, in his official and individual capacities; Elliana Lury, in her official and individual capacities; Matt Geisel, in his official and individual capacities; Josh Rubin, in his official and individual capacities; Lawrence Samuel, in his official and individual capacities; Mike McDermott, in his private capacity as 3rd party conspirator; Torenzo Johnson, in his private capacity as 3rd party conspirator; Stephen Smith, in his private capacity as 3rd party conspirator; Theresa Smith, in her private capacity as 3rd party conspirator; Melissa Montoya, in her private capacity as 3rd party conspirator; Ana Kuny Slock, in her private capacity as 3rd party conspirator; Raquel DeTomasso, in her private capacity as 3rd party conspirator; Bianca Fisher, in her private capacity as 3rd party conspirator; Michael Fisher, in his private capacity as 3rd party conspirator; Bobbie Martinez, in her private capacity as 3rd party conspirator. (Jarrod Lowrey v. City of Rio Rancho; Rio Rancho Public Schools; Rio Rancho Police Department; Connie Peterson, in her official and individual capacities; Lorenzo Green, in his official and individual capacities; Noah Trujillo, in his official and individual capacities; Brandon Maez, in his official and individual capacities; Elliana Lury, in her official and individual capacities; Matt Geisel, in his official and individual capacities; Josh Rubin, in his official and individual capacities; Lawrence Samuel, in his official and individual capacities; Mike McDermott, in his private capacity as 3rd party conspirator; Torenzo Johnson, in his private capacity as 3rd party conspirator; Stephen Smith, in his private capacity as 3rd party conspirator; Theresa Smith, in her private capacity as 3rd party conspirator; Melissa Montoya, in her private capacity as 3rd party conspirator; Ana Kuny Slock, in her private capacity as 3rd party conspirator; Raquel DeTomasso, in her private capacity as 3rd party conspirator; Bianca Fisher, in her private capacity as 3rd party conspirator; Michael Fisher, in his private capacity as 3rd party conspirator; Bobbie Martinez, in her private capacity as 3rd party conspirator.) is published on Counsel Stack Legal Research, covering District Court, D. New Mexico primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Jarrod Lowrey v. City of Rio Rancho; Rio Rancho Public Schools; Rio Rancho Police Department; Connie Peterson, in her official and individual capacities; Lorenzo Green, in his official and individual capacities; Noah Trujillo, in his official and individual capacities; Brandon Maez, in his official and individual capacities; Elliana Lury, in her official and individual capacities; Matt Geisel, in his official and individual capacities; Josh Rubin, in his official and individual capacities; Lawrence Samuel, in his official and individual capacities; Mike McDermott, in his private capacity as 3rd party conspirator; Torenzo Johnson, in his private capacity as 3rd party conspirator; Stephen Smith, in his private capacity as 3rd party conspirator; Theresa Smith, in her private capacity as 3rd party conspirator; Melissa Montoya, in her private capacity as 3rd party conspirator; Ana Kuny Slock, in her private capacity as 3rd party conspirator; Raquel DeTomasso, in her private capacity as 3rd party conspirator; Bianca Fisher, in her private capacity as 3rd party conspirator; Michael Fisher, in his private capacity as 3rd party conspirator; Bobbie Martinez, in her private capacity as 3rd party conspirator., (D.N.M. 2025).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW MEXICO

JARROD LOWREY,

Plaintiff,

vs. Civ. No. 25-849 JFR/LF

CITY OF RIO RANCHO, RIO RANCHO PUBLIC SCHOOLS, RIO RANCHO POLICE DEPARTMENT, CONNIE PETERSON, in her official and individual capacities, LORENZO GREEN, in his official and individual capacities, NOAH TRUJILLO, in his official and individual capacities, BRANDON MAEZ, in his official and individual capacities, ELLIANA LURY, in her official and individual capacities, MATT GEISEL, in his official and individual capacities, JOSH RUBIN, in his official and individual capacities, LAWRENCE SAMUEL, in his official and individual capacities, MIKE McDERMOTT, in his private capacity as 3rd party conspirator, TORENZO JOHNSON, in his private capacity as 3rd party conspirator, STEPHEN SMITH, in his private capacity as 3rd party conspirator, THERESA SMITH, in her private capacity as 3rd party conspirator, MELISSA MONTOYA, in her private capacity as 3rd party conspirator, ANA KUNY SLOCK, in her private capacity as 3rd party conspirator, RAQUEL DeTOMASSO, in her private capacity as 3rd party conspirator, BIANCA FISHER, in her private capacity as 3rd party conspirator, MICHAEL FISHER, in his private capacity as 3rd party conspirator, BOBBIE MARTINEZ, in her private capacity as 3rd party conspirator,

Defendants.

ORDER DENYING EMERGENCY MOTION TO REMAND AND ISSUING WARNING REGARDING POSSIBLE SANCTIONS1

THIS MATTER is before the Court on Plaintiff’s Emergency Motion to Remand (“Motion”), filed September 8, 2025. Doc. 16. On September 22, 2025, Defendants Rio Rancho Public Schools and Bobbie Martinez filed a Response. Doc. 23. On September 22, 2025,

1 Pursuant to 28 U.S.C. § 636(c), the parties consented to the undersigned to conduct any or all proceedings, and to enter an order of judgment, in this case. Doc. 37. Defendants City of Rio Rancho, Rio Rancho Police Department, Matt Geisel, Josh Rubin, Connie Peterson, Lawrence Samuel, Lorenzo Green, Noah Trujillo, Brandon Maez, Elliana Lury, Theresa Smith, Stephen Smith, Torenzo Johnson, Bianca Fisher, Michael Fisher, Melissa Montoya, Ana Kuny Slock, Raquel DeTomasso, and Michael McDermott filed a Response. Doc. 24. On October 6, 2025, Plaintiff filed a Reply. Doc. 40. After examining the arguments,

the record, and the relevant law, the Court finds that Plaintiff’s request for remand is not well taken and is DENIED. I. PROCEDURAL BACKGROUND On July 28, 2025, Plaintiff Jarrod Lowrey, filed a Complaint in the Thirteenth Judicial District Court, County of Sandoval, State of Mexico, against the City of Rio Rancho, Rio Rancho Public Schools, Rio Rancho Police Department, and eighteen individuals in their official, individual, private and/or third-party conspirator capacities. Doc. 6 at 1-19. Plaintiff’s Complaint is based on his and his son’s participation in a fourth grade youth basketball program

in Rio Rancho, New Mexico. Id. Plaintiff brings nineteen claims against Defendants alleging violations of the Individuals With Disabilities Act, the First Amendment of the United States Constitution, the Fourteenth Amendment of the United States Constitution, the New Mexico Human Rights Act, the New Mexico Civil Rights Act, the New Mexico Tort Claims Act, and New Mexico common law. Id. On August 29, 2025, Defendants City of Rio Rancho, Rio Rancho Police Department, Matt Geisel, Josh Rubin, Connie Peterson, Lawrence Samuel, Lorenzo Green, Noah Trujillo, Brandon Maez, Elliana Lury, Theresa Smith, Stephen Smith, and Torenzo Johnson filed a Notice of Removal based on Plaintiff’s alleged violations of federal statutes and the United States Constitution over which this Court has federal question jurisdiction pursuant to 28 U.S.C. § 1331. Doc. 1. On August 29, 2025, Attorney James Wilkey filed an Entry of Appearance on behalf of Defendants City of Rio Rancho, Rio Rancho Police Department, Matt Geisel, Josh Rubin, Connie Peterson, Lawrence Samuel, Lorenzo Green, Noah Trujillo, Brandon Maez, Elliana Lury, Theresa Smith, Stephen Smith, and Torenzo Johnson. Doc. 3. On August 29, 2025, Attorney Jason Michael Burnette filed an Entry of Appearance on

behalf of Defendants Rio Rancho Public Schools and Bobbie Martinez (“Rio Rancho School Defendants”). Doc. 4. On September 5, 2025, Attorney Wilkey entered an Amended Entry of Appearance on behalf of Defendants City of Rio Rancho, Rio Rancho Police Department, Matt Geisel, Josh Rubin, Connie Peterson, Lawrence Samuel, Lorenzo Green, Noah Trujillo, Brandon Maez, Elliana Lury, Theresa Smith, Stephen Smith, Torenzo Johnson, Raqueal DeTomasso, Bianca Fisher, Michael Fisher, Mike McDermott, and Melissa Montoya (“Rio Rancho City Defendants”). Doc. 7. On September 5, 2025, the Rio Rancho City Defendants filed a Motion to Stay Discovery and a Motion to Dismiss for Failure to State a Claim and Qualified Immunity. Docs. 8, 10. On September 5, 2025, the Rio Rancho School Defendants filed a Motion to

Dismiss Complaint pursuant to Rule 12(b)(6). Doc. 9. On September 8, 2025, Plaintiff filed the Emergency Motion to Remand which is currently before the Court. Doc. 16. On September 18, 2025, the Rio Rancho School Defendants filed a Consent to Removal. Doc. 20. II. ARGUMENTS AND ANALYSIS Plaintiff argues in his Motion that remand is warranted because (1) the Notice of Removal is defective; (2) his claims are best litigated in state court due to complex state law issues, local interests, and convenience of the parties; and (3) Plaintiff had motions pending in state court before removal that are best resolved by the state court already familiar with his case and because their prompt resolution was improperly interrupted by removal. Doc. 16 ay 5-18. The Court addresses each in turn. A. Notice of Removal Plaintiff first argues that the Notice of Removal is defective because it fails to satisfy the

unanimity rule and because Attorney Wilkey failed to include copies of all process, pleadings, and orders served on Defendants when he filed the Notice of Removal. Plaintiff argues that he served the first Defendants on July 30, 2025, thereby triggering the thirty-day period for removal under 28 U.S.C. § 1446(b)(1). Doc. 16 at 1-2, 5-14. Plaintiff argues that the deadline, therefore, for filing a valid notice of removal was August 29, 2025, and that Defendants “were required to have fully and correctly completed the removal process, including unanimous consent, proper signature, and filing of all state court documents” by that date. Id. at 2. Plaintiff asserts that Attorney James Wilkey filed a Notice of Removal on behalf of only thirteen of the twenty-one served Defendants. Id. Plaintiff argues that the eight other Defendants - which include Rio

Rancho Public Schools, Bobbie Martinez, and at the time six unrepresented individual Defendants2 - were entirely omitted from the Notice of Removal. Id. Plaintiff argues that although Attorney Wilkey asserts in the Notice of Removal that all Defendants or their counsel were contacted and consented to removal, Attorney Wilkey’s assertion is unsupported because he lacked the authority to consent on behalf of Defendants he did not represent and because none of the omitted Defendants filed separate written notices of consent within the thirty-day period for removal as required by the unanimity rule. Id. Plaintiff additionally argues that although Attorney Wilkey subsequently filed in federal court copies of all process, pleadings, and orders

2 Attorney James Wilkey has since entered his appearance on their behalf. Doc. 7.

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Jarrod Lowrey v. City of Rio Rancho; Rio Rancho Public Schools; Rio Rancho Police Department; Connie Peterson, in her official and individual capacities; Lorenzo Green, in his official and individual capacities; Noah Trujillo, in his official and individual capacities; Brandon Maez, in his official and individual capacities; Elliana Lury, in her official and individual capacities; Matt Geisel, in his official and individual capacities; Josh Rubin, in his official and individual capacities; Lawrence Samuel, in his official and individual capacities; Mike McDermott, in his private capacity as 3rd party conspirator; Torenzo Johnson, in his private capacity as 3rd party conspirator; Stephen Smith, in his private capacity as 3rd party conspirator; Theresa Smith, in her private capacity as 3rd party conspirator; Melissa Montoya, in her private capacity as 3rd party conspirator; Ana Kuny Slock, in her private capacity as 3rd party conspirator; Raquel DeTomasso, in her private capacity as 3rd party conspirator; Bianca Fisher, in her private capacity as 3rd party conspirator; Michael Fisher, in his private capacity as 3rd party conspirator; Bobbie Martinez, in her private capacity as 3rd party conspirator., Counsel Stack Legal Research, https://law.counselstack.com/opinion/jarrod-lowrey-v-city-of-rio-rancho-rio-rancho-public-schools-rio-rancho-nmd-2025.