Ceglia v. Zuckerberg et al

Filing 68

Certificate of Service by Paul D. Ceglia.(Hall, Christopher) Modified on 6/20/2011 (DLC).

CERTIFICATE OF SERVICE I hereby certify that on the 17th day of June, 2011, a copy of:  the Notice of Cross-Motion for Mutual Expedited Discovery,  the Proposed Order,  Plaintiff’s Memorandum of Law in Opposition to Defendants’ Motion for One-Sided Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited Discovery,  the Declaration of Christopher P. (“Kip”) Hall in Opposition to Defendants’ Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited Discovery,  the Declaration of Carrie S. Parikh in Opposition to Defendants’ Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited Discovery,  the Declaration of John Paul Osborn in Support of Plaintiff’s Opposition to Defendants’ Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited Discovery,  the Declaration of Valery N. Aginsky, Ph.D., in Support of Plaintiff’s Opposition to Defendants’ Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited Discovery,  the Declaration of John H. Evans in Support of Plaintiff’s Opposition to Defendants’ Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited Discovery,  the Declaration of Paul A. Argentieri in Support of Plaintiff’s Opposition to Defendants’ Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited Discovery,  the Declaration of Paul D. Ceglia in Support of Plaintiff’s Opposition to Defendants’ Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited Discovery,  and the Declaration of Michael Pliszka in Support of Plaintiff’s Opposition to Defendants’ Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited Discovery were served, via electronic notification (excluding Thomas Dupree) and regular mail, upon the following attorneys for Defendants, Mark Elliot Zuckerberg and Facebook, Inc: WEST\223693773.1 Alexander H. Southwell Orin S. Snyder Gibson, Dunn & Crutcher, LLP 200 Park Avenue 47th Floor New York, NY 10166-0193 asouthwell@gibsondunn.com osnyder@gibsondunn.com Michael B. Powers Sean C. McPhee Phillips Lytle LLP 3400 HSBC Center Buffalo, NY 14203 mpowers@phillipslytle.com smcphee@phillipslytle.com Lisa T. Simpson Orrick, Herrington & Sutcliffe LLP 51 West 52nd Street New York, NY 10019 LSimpson@orrick.com Terrance P. Flynn Harris Beach LLP Larkin at Exchange 726 Exchange Street Suite 1000 Buffalo, NY 14210 Thomas Dupree Gibson, Dunn & Crutcher LLP 1050 Connecticut Ave. NW Washington, DC 20036 PRO HAC VICE ATTORNEY TO BE NOTICED /s/Carrie S. Parikh Carrie S. Parikh DLA Piper LLP (US) 1251 Avenue of the Americas New York, New York 10020 carrie.parikh@dlapiper.com 212.335.4872 Attorneys for Plaintiff WEST\223693773.1