AMERICAN SOCIETY FOR TESTING AND MATERIALS et al v. PUBLIC.RESOURCE.ORG, INC.
Filing
11
MOTION for Leave to Appear Pro Hac Vice :Attorney Name- Kenneth L. Steinthal, :Firm- King & Spalding LLP, :Address- 101 Second Street, Suite 2300, San Francisco, CA 94105. Phone No. - (415) 318-1200. Fax No. - (415) 318-1300 by AMERICAN SOCIETY OF HEATING, REFRIGERATING, AND AIR-CONDITIONING ENGINEERS, INC. (Attachments: #1 Declaration, #2 Text of Proposed Order)(Bucholtz, Jeffrey)
AMERICAN SOCIETY FOR TESTING AND MATERIALS et al v. PUBLIC.RESOURCE.ORG, INC.
Doc. 11
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
)
AMERICAN SOCIETY FOR TESTING AND )
MATERIALS d/b/a ASTM
)
INTERNATIONAL, et al.
)
)
Plaintiffs,
)
)
v.
)
)
PUBLIC.RESOURCE.ORG, INC.,
)
)
Defendant.
)
)
Civil Action No. 1:13-cv-01215-EGS
PLAINTIFF THE AMERICAN SOCIETY OF HEATING,
REFRIGERATING, AND AIR-CONDITIONING ENGINEERS, INC.’S
MOTION FOR ADMISSION PRO HAC VICE OF KENNETH L. STEINTHAL
Pursuant to LCvR 83.2(d), JEFFREY S. BUCHOLTZ, counsel for Plaintiff the American
Society of Heating, Refrigerating, and Air-Conditioning Engineers, Inc. (“ASHRAE”) in this
matter, and a member in good standing of the bar of this Court, respectfully moves for admission
of Kenneth L. Steinthal pro hac vice as counsel for Plaintiff. Mr. Steinthal’s declaration in
support of his admission is attached as Exhibit 1.
1. Mr. Steinthal acknowledges the power and jurisdiction of the United States District Court
for the District of Columbia over his professional conduct, and agrees to be bound by the District
of Columbia Court of Appeals’ Rules of Professional Conduct, if he is admitted pro hac vice.
Mr. Steinthal has not been admitted pro hac vice to this court within the last two years and has
not been disciplined by any bar.
2. Mr. Steinthal is a member in good standing of the bar of the States of California and New
York, a member of the Supreme Court of the United States, the United States Courts of Appeals
for the Second, Ninth, and District of Columbia Circuits, and the United States District Courts
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for the Central and Northern Districts of California, and the Eastern and Southern Districts of
New York.
3. As Defendant has not yet appeared in this action, Plaintiff is unable to determine whether
opposing counsel consents to this motion.
4. In accordance with LCvR 7(c), a proposed order is attached hereto.
WHEREFORE, JEFFREY S. BUCHOLTZ, counsel for the Plaintiff ASHRAE,
respectfully requests that this Court admit Kenneth L. Steinthal pro hac vice for the purposes of
appearing as counsel for Plaintiff ASHRAE in this case.
Dated: Aug. 12, 2013
/s/ Jeffrey S. Bucholtz
Jeffrey S. Bucholtz
KING & SPALDING LLP
1700 Pennsylvania Ave. NW
Washington, D.C. 20006
Tel.: (202) 626-2907
Fax: (202) 626-3737
jbucholtz@kslaw.com
Counsel for Plaintiff the American Society of
Heating, Refrigeration, and AirConditioning Engineers, Inc.
2
CERTIFICATE OF SERVICE
In accordance with LCvR 5.3, I certify that on August 12, 2013, I caused a true and
correct copy of the Motion for the Admission pro hac vice of Joseph R. Wetzel to be served on
defendant by postage prepaid U.S. Mail as follows:
Public.Resource.Org, Inc.
1005 Gravenstein Highway North
Sebastopol, CA 95472
/s/ Jeffrey S. Bucholtz
Jeffrey S. Bucholtz
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