Harrison v. Republic of Sudan
Filing
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ORDER 7 Authorizing Plaintiffs to Seek Attachmennt, Execution and Enforcement of Judgment. Signed by Judge Jeffrey S. White on July 22, 2013. (jswlc3, COURT STAFF) (Filed on 7/22/2013)
Case3:13-mc-80116-JSW Document7 Filed06/02/13 Page1 of 2
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Douglas A. Applegate (SBN 142000)
SEILER EPSTEIN ZIEGLER & APPLEGATE LLP
101 Montgomery Street, 27th Floor
San Francisco, California 94104
Phone: (415) 979-0500
Fax:
(415) 979-0511
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Attorneys for plaintiffs and judgment creditors:
Rick Harrison, John Buckley III, Margaret Lopez,
Andy Lopez, Keith Lorenson, Lisa Lorenson, Edward
Love, Robert McTureous, David Morales, Gina
Morris, Martin Songer, Jr., Shelly Songer, Jeremy
Stewart, Kesha Stidham, Aaron Toney, Eric Williams,
Carl Wingate, and Tracey Smith as the Personal
Representative of the Estate of Rubin Smith
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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Attorneys at Law
SEILER EPSTEIN ZIEGLER & APPLEGATE LLP
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RICK HARRISON, JOHN BUCKLEY III,
MARGARET LOPEZ, ANDY LOPEZ,
KEITH LORENSEN, LISA LORENSEN,
EDWARD LOVE, ROBERT MCTUREOUS,
DAVID MORALES, GINA MORRIS,
MARTIN SONGER, JR.,SHELLY SONGER,
JEREMY STEWART, KESHA STIDHAM,
AARON TONEY, ERIC WILLIAMS, CARL
WINGATE, and TRACEY SMITH, as
Personal Representative of the Estate of
RUBIN SMITH
Case No. 3:13-mc-80116-JSW
[PROPOSED]
ORDER AUTHORIZING Plaintiffs to Seek
ATTACHMENT, EXECUTION AND
ENFORCEMENT OF JUDGMENT
(28 U.S.C. § 1605A(g))
Plaintiffs/Judgment Creditors,
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v.
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THE REPUBLIC OF SUDAN,
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Defendant/Judgment Debtor.
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Upon the ex parte application of plaintiffs, and with good cause appearing,
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IT IS HEREBY ORDERED that the application be, and it hereby is GRANTED, the Court
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finding
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Defendants/Judgment-Debtors’ Assets within this jurisdiction. The Court hereby concludes
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that, under 28 U.S.C. § 1610(c), all conditions precedent to the Plaintiffs’ request to attach and
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execute against blocked assets of the Defendant/Judgment Debtor, Republic of Sudan, have
that
sufficient
time
has
passed
to
seek
attachment
and
execution
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ORDER AUTHORIZING ATTACHMENT AND ENFORCEMENT OF JUDGMENT
3:13-MC-80116-JSW
of
Case3:13-mc-80116-JSW Document7 Filed06/02/13 Page2 of 2
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been met, including providing proper notification of the default judgment to the
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Defendant/Judgment Debtor, pursuant to 28 U.S.C. § 1608(e), and that, for the purposes of
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attachment and execution, a reasonable period of time has elapsed following the entry of
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judgment and the giving of notice to the Defendant/Judgment Debtor. The Plaintiffs are hereby
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authorized to seek attachment of frozen assets located within this jurisdiction using postThis Order should not be construed as an authorization to attach any
judgment enforcement procedures. particular assert.
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DATED: June ___, 2013
July 22, 2013
BY THE COURT:
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________________________________
United States District Judge
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Attorneys at Law
SEILER EPSTEIN ZIEGLER & APPLEGATE LLP
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ORDER AUTHORIZING ATTACHMENT AND ENFORCEMENT OF JUDGMENT
3:13-MC-80116-JSW
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