Bryan Pringle v. William Adams Jr et al

Filing 289

APPLICATION to the Clerk to Tax Costs against Plaintiff Bryan Pringle filed by Defendants Allan Pineda(collectively as the music group the Black Eyed Peas), Stacy Ferguson(collectively as the music group the Black Eyed Peas), Jeepney Music Inc, Tab Magnetic Publishing, Will.I.Am Music LLC, Stacy Ferguson(individually), Jaime Gomez(collectively as the music group the Black Eyed Peas), EMI April Music Inc, Headphone Junkie Publishing LLC, Jaime Gomez(individually), Allan Pineda(individually), William Adams Jr(individually), Cherry River Music Co, William Adams Jr(collectively as the music group the Black Eyed Peas). Application set for hearing on 6/15/2012 at 11:00 AM before Clerk of Court. (Attachments: # 1 Bill of Costs, # 2 Bill of Costs Details, # 3 Declaration Kara Cenar, # 4 Exhibit A to Declaration of Kara Cenar, # 5 Exhibit B to Declaration of Kara Cenar)(Righettini, Justin)

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BRYAN CAVE LLP Jonathan Pink, California Bar No. 179685 Justin M. R4ghettini, California Bar No. 245305 3161 Michelson Drive, Suite 1500 Irvine California 92612-4414 Telepcione: 9) 223-7000 Facsimile: 223-7100 E-mail: JonailianxinkabUancave.com Justin.righettirn(bryancave.com M 9) BRYAN CAVE LLP Kara F. F. Cenar, (Pro Hac Vice) Mariangela M. Seale, (Pro Hac Vice) 161 North Clark Street, Suite 4300 Chicago, IL 60601-3315 Telephone: (312) 602-5000 Facsimile: (312) 602-5050 E-mail: kara.cenarbryancave.com 10 merili.sea1e(bryancave.com 11 Attorneys for Defendants WILLIAM ADAMS; STACY FERGUSON; ALLAN PINEDA; and JAIME GOMEZ, all individually and collectively as the music 12 group THE BLACK EYED PEAS; will.i.am music, lie; TAB MAGNETIC PUBtISHING; CHERRY RIVER MUSIC CO.; HEADPHONE JUNKIE 13 PUBLISHING, LLC; JEEPNEY MUSIC, INC.; EMI APRIL MUSIC, INC. 14 -w 15 C,) UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA, SOUTHERN DIVISION 16 BRYAN PRINGLE, an individual, Plaintiff, 17 18 V. Case No. SACV10-1656 JST (RZx) CENAR DECLARATION IN SUPPORT OF NOTICE OF APPLICATION TO TAX COSTS 19 WILLIAM ADAMS, JR.; STACY FERGUSON; ALLAN PINEDA; and 20 JAIME GOMEZ, all individually and 21 22 23 24 25 26 collectively as the music_groupthe Black Eyed Peas; DAVID GUETTA; FREDERICK RIESTERER; UMG RECORDINGS, INC; INTERSCOPE RECORDS; EMI APRIL MUSIC, INC.; HEADPHONE JUNKIE PUBLISHING, LLC; WILL.I.AM. MUSIC, LLC; JEEPNEY MUSIC, INC.; TAB MAGNETIC PUBLISHING CHERRY RIVER MUSIC CO.; SQUARE RIVOLI PUBLISHING; RISTER EDITIONS; and SHAPIRO, BERNSTEIN & CO., 27 Defendants. 28 CHOIDOCS 191876.2 CENAR DECLARATION 1 DECLARATION OF KARA CENAR 2 I, Kara E. F. Cenar, submit this declaration in connection with the Defendants’ Bill ii of Costs, and I have personal knowledge of the facts stated herein. 4 1. I am an attorney with the law firm of Bryan Cave LLP, counsel of record for 5 6 and JAIME GOMEZ, all individually and collectively as the music group 7 THE BLACK EYED PEAS; will.i.am music, lic; TAB MAGNETIC 8 PUBLISHING; CHERRY RIVER MUSIC CO.; HEADPHONE JUNKIE 9 0 defendants WILLIAM ADAMS; STACY FERGUSON; ALLAN PINEDA; PUBLISHING, LLC; JEEPNEY MUSIC, INC.; EMI APRIL MUSIC, INC. 10 (collectively, "Defendants"). I am admitted pro hac vice in this case. 11 2. As allowed under L.R. 54-4.6, Defendants were charged $24,964.55 in costs IJ.(fl( J .1l - wo 12 associated with taking oral depositions. Attached hereto as Exhibit A are ..c0 z Uz 13 true and correct copy of invoices for deposition services. mu 14 3. As allowed under L.R. 54-4.6, Defendants were charged $1,077.40 in 15 copying costs incurred in connection with exhibits used at oral depositions. 16 Attached hereto as Exhibit B is a true and correct copy of a report detailing 17 copying charges incurred, including annotations. (DEe CI) 18 4. The above costs requested in the Bill of Costs are allowable pursuant to the 19 Local Rules, are correct and were necessarily incurred in the case. The 20 services for which fees have been charged were actually and necessarily 21 performed. 22 I declare under penalty of perjury under the laws of the United States of 23 America that the statements contained in this Declaration are true and correct to the 24 best knowledge, information, and belief. 25 Executed this 30th day of May 270J-2- 26 27 E. F. CENAR 28 1 -- CENAR DECLARATION

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