FOX TELEVISION STATIONS, INC., et al v. AEREOKILLER LLC, et al

Filing 21

MOTION for Leave to Appear Pro Hac Vice :Attorney Name- Julie A. Shepard, :Firm- Jenner & Block LLP, :Address- 633 W 5th Street, Suite 3600, Los Angeles, CA 90071. Phone No. - 213-239-5100. Fax No. - 213-239-5199 by FOX BROADCASTING COMPANY, INC., FOX TELEVISION STATIONS, INC., TWENTIETH CENTURY FOX FILM CORPORATION (Attachments: # 1 Declaration of Julie A. Shepard, # 2 Text of Proposed Order)(Smith, Paul)

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA FOX TELEVISION STATIONS, INC., TWENTIETH CENTURY FOX FILM CORPORATION, FOX BROADCASTING COMPANY, NBC SUBSIDIARY (WRC-TV) LLC, NBC STUDIOS LLC, UNIVERSAL NETWORK TELEVISION LLC, OPEN 4 BUSINESS PRODUCTIONS LLC, TELEMUNDO NETWORK GROUP LLC, AMERICAN BROADCASTING COMPANIES, INC., DISNEY ENTERPRISES, INC., ALLBRITTON COMMUNICATIONS COMPANY, CBS BROADCASTING INC., CBS STUDIOS INC., GANNETT CO., INC. Plaintiffs, v. AEREOKILLER LLC, FILMON.TV NETWORKS, INC., FILMON.TV, INC., FILMON.COM, INC. Defendants. ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) Civil Action No. 1:13-cv-00758-RMC Unopposed Motion for Admission Pro Hac Vice Paul Smith, a licensed, practicing attorney in the District of Columbia and member of the bar of the United States District Court for the District of Columbia in good standing, moves this Court pursuant to Local Rule 83.2(d) for permission for Julie A. Shepard to appear and participate in the above-captioned case pro hac vice on behalf of plaintiffs Fox Television Stations, Inc., Twentieth Century Fox Film Corporation, and Fox Broadcasting Company. The grounds for this motion are set forth in Ms. Shepard’s attached declaration. Ms. Shepard acknowledges the power and jurisdiction of the United States District Court for the District of Columbia over her professional conduct, and agrees to be bound by the rules governing professional conduct in this district if she is admitted pro hac vice in this matter. Plaintiffs’ counsel has conferred with Defendants’ counsel, who have indicated that they do not oppose this Motion. We respectfully request that the Court grant this Motion and enter the Order for admission pro hac vice. Dated: July 16, 2013 Respectfully submitted, By: 2 /s/ Paul M. Smith Paul M. Smith (D.C. Bar No. 358870) Jenner & Block LLP 1099 New York Avenue, NW, Suite 900 Washington, DC 20001-4412 Telephone: (202) 639-6000 Facsimile: (202) 639-6066 E-mail: psmith@jenner.com

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