Bryan Pringle v. William Adams Jr et al

Filing 85

REPLY support MOTION to Dismiss Case 53 , MOTION for Joinder in MOTION to Dismiss First Amended Complaint MOTION to Strike First Amended Complaint MOTION for More Definite Statement 52 MOTION for Joinder in MOTION to Dismiss First Amended Complaint MOTION to Strike First Amended Complaint MOTION for More Definite Statement 52 56 , MOTION for Joinder in MOTION to Dismiss Case 53 MOTION for Joinder in MOTION to Dismiss Case 53 MOTION for Joinder in MOTION to Dismiss Case 53 55 , MOTION to Dismiss First Amended Complaint MOTION to Strike First Amended Complaint MOTION for More Definite Statement 52 filed by Defendants Interscope Records, UMG Recordings Inc. (Pearson, Heather)

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1 CALDWELL LESLIE & PROCTOR, PC LINDA M. BURROW, State Bar No. 194668 burrow@caldwell-leslie.com 2 HEATHER PEARSON, State Bar No. 235167 pearson@caldwell-leslie.com 3 1000 Wilshire Boulevard, Suite 600 4 Los Angeles, California 90017-2463 Telephone: (213) 629-9040 5 Facsimile: (213) 629-9022 6 Attorneys for Defendants UMG RECORDINGS, INC. and 7 INTERSCOPE RECORDS 8 UNITED STATES DISTRICT COURT 9 CENTRAL DISTRICT OF CALIFORNIA 10 SOUTHERN DIVISION 11 12 13 14 15 BRYAN PRINGLE, an individual, Plaintiff, v. WILLIAM ADAMS, JR.; STACY 16 FERGUSON; ALAN PINEDA; and JAIME GOMEZ, all individually and 17 collectivley as the music group the Black Eyed Peas; DAVID GUETTA; 18 FREDERICK RIESTERER; UMG RECORDINGS, INC.; INTERSCOPE 19 RECORDS; EMI APRIL MUSIC, INC.; HEAPHONE JUNKIE 20 PUBLISHING, LLC.; WILL.I.AM MUSIC, LLC; JEEPNEY MUSIC, 21 INC.; TAB MAGNETIC PUBLISHING; CHERRY RIVER 22 MUSIC, CO.; SQUARE RIVOLI PUBLISHING; RISTER EDITIONS; 23 and SHAPIRO, BERNSTEIN & CO., 24 Case No. SACV 10-1656 JST (RZx) JOINDER IN REPLIES IN SUPPORT OF DEFENDANTS’ MOTIONS TO DISMISS, MOTION TO STRIKE AND MOTION FOR A MORE DEFINITE STATEMENT Date: January 24, 2011 Time: 10:00 am Place: Courtroom 10A Trial Date: None Set Defendants. 25 26 27 28 CALDWELL LESLIE & PROCTOR JOINDER TO REPLY BRIEFS IN SUPPORT OF MOTIONS TO DISMISS, MOTION TO STRIKE, AND MOTION FOR A MORE DEFINITE STATEMENT . 1 TO THE COURT, ALL PARTIES AND THEIR COUNSEL OF RECORD: 2 PLEASE TAKE NOTICE THAT defendants UMG Recordings, Inc. 3 (“UMG”) and Interscope Records (“Interscope”) have previously joined in the 4 Motion to Dismiss, Motion for a More Definite Statement, and Motions to Strike 5 submitted by Defendants William Adams, Jr., Allan Pineda, and Jaime Gomez, 6 collectively the Black Eyed Peas, Jaime Munson, Will.I.Am Music, LLC, TAB 7 Magnetic Publishing, Cherry River Music Co., and Jeepney Music Inc. and Motion 8 to Dismiss submitted by Bernstein & Co., Inc., Rister Editions, and David Guetta. 9 UMG and Interscope hereby also join in the Replies submitted in support of those 10 motions. 11 12 DATED: January 10, 2011 Respectfully submitted, 13 CALDWELL LESLIE & PROCTOR, PC LINDA M. BURROW HEATHER PEARSON 14 15 16 17 18 19 20 By /s/ LINDA M. BURROW Attorneys for Defendants UMG RECORDINGS, INC. and INTERSCOPE RECORDS 21 22 23 24 25 26 27 28 CALDWELL LESLIE & PROCTOR -1- JOINDER TO REPLY BRIEFS IN SUPPORT OF MOTIONS TO DISMISS, MOTION TO STRIKE, AND MOTION FOR A MORE DEFINITE STATEMENT .

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