Rupa Marya v. Warner Chappell Music Inc
Filing
266
NOTICE OF MOTION AND MOTION to Intervene [UNOPPOSED] filed by Plaintiff Intervenor The Association for Childhood Education International, The Hill Foundation, Inc.. Motion set for hearing on 12/7/2015 at 09:30 AM before Judge George H. King. (Attachments: # 1 Memorandum of Points and Authorities, # 2 Exhibit 1 to Memorandum of Points and Authorities, # 3 Exhibit 2 to Memorandum of Points and Authorities, # 4 Proposed Order on UnopposedMotion to Intervene) (Attorney Scott O Luskin added to party The Association for Childhood Education International(pty:intvp), Attorney Scott O Luskin added to party The Hill Foundation, Inc.(pty:intvp)) (Luskin, Scott)
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ATTORNEYS AT LAW
4 PARK PLAZA, SUITE 1100
IRVINE, CALIFORNIA 92614
(949) 851-1100
PAYNE & FEARS LLP
1 Daniel M. Livingston, Bar No. 105981
dml@paynefears.com
2 PAYNE & FEARS LLP
Attorneys at Law
3 4 Park Plaza, Suite 1100
Irvine, California 92614
4 Telephone: (949) 851-1100
Facsimile: (949) 851-1212
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Scott O. Luskin, State Bar No. 238082
6 sol@paynefears.com
PAYNE & FEARS LLP
7 801 South Figueroa Street, Suite 1150
Los Angeles, California 90017-2566
8 Telephone: (213) 439-9911
Facsimile: (213) 439-9922
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Attorneys for Applicants, THE ASSOCIATION FOR CHILDHOOD EDUCATION
10 INTERNATIONAL AND THE HILL FOUNDATION, INC.
UNITED STATES DISTRICT COURT
CENTRAL DISTRICT OF CALIFORNIA, WESTERN DIVISION
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RUPA MARYA, et al.,
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Plaintiffs,
Case No. 13-CV-04460 GHK (MRWx)
Assigned to Hon. George H. King
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NOTICE OF UNOPPOSED
MOTION AND UNOPPOSED
MOTION TO INTERVENE
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Date:
Time:
Courtroom:
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v.
WARNER / CHAPPELL MUSIC,
18 INC., et al.,
Defendants.
December 7, 2015
9:30 a.m.
650
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[Fed. R. Civ. P. 24]
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[Filed concurrently with
Memorandum of Points and
Authorities; [Proposed] Order;
Notice of Interested Parties]
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TO ALL PARTIES AND TO THEIR ATTORNEYS OF RECORD:
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PLEASE TAKE NOTICE that at 9:30 a.m. on December 7, 2015 in
4 Courtroom 650 of the United States District Court for the Central District of
5 California, located at 255 East Temple Street, Los Angeles, California 90012,
6 Applicants, the Association for Childhood Education International (“ACEI”) and the
7 Hill Foundation, Inc. (“Hill Foundation”), will move the Court for an order,
8 allowing them to intervene in the above caption action pursuant to Rule 24 of the
9 Federal Rules of Civil Procedure.
This Motion is made on the grounds that Applicants meet the Requirements
11 under Fed.R.Civ. P. 24(a), or, in the alternative, Fed.R. Civ. P. 24(b), as set forth in
12 the memorandum accompanying this Motion.
ATTORNEYS AT LAW
4 PARK PLAZA, SUITE 1100
IRVINE, CALIFORNIA 92614
(949) 851-1100
PAYNE & FEARS LLP
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Pursuant to Local Rule 7-3, counsel for the Parties had a conference on
14 November 5, 2015 regarding Applicant’s proposed Motion. After such conference,
15 and additional written and oral communications, counsel for each of the Parties
16 advised the undersigned that their respective clients do not object to the Applicants’
17 Motion. Accordingly, this Motion is unopposed.
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19 DATED: November 9, 2015
PAYNE & FEARS
LLP
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By:
/s/Scott O. Luskin
SCOTT O. LUSKIN
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Attorneys for Applicants, THE
ASSOCIATION FOR CHILDHOOD
EDUCATION INTERNATIONAL AND
THE HILL FOUNDATION, INC.
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4818-8495-4154.1
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