AMERICAN EDUCATIONAL RESEARCH ASSOCIATION, INC. et al v. PUBLIC.RESOURCE.ORG, INC.
Filing
136
Second MOTION for Summary Judgment by PUBLIC.RESOURCE.ORG, INC. (Attachments: # 1 [REDACTED] Public Resources Memorandum of Law, # 2 Declaration Carl Malamud, # 3 Declaration Matthew Becker, # 4 [REDACTED] Public Resources Statement of Material Facts, # 5 [REDACTED] Public Resources Statement of Disputed Facts, # 6 [REDACTED] Public Resources Objections to Plaintiffs Evidence, # 7 Public Resources Request for Judicial Notice in Opposition, # 8 Text of Proposed Order, # 9 Certificate of Service)(Bridges, Andrew)
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
AMERICAN EDUCATIONAL RESEARCH
ASSOCIATION, INC., AMERICAN PSYCHOLOGICAL
ASSOCIATION, INC., and NATIONAL COUNCIL ON
MEASUREMENT IN EDUCATION, INC.,
C.A. No. 1:14-cv-00857 (TSC)
Plaintiffs-Counterdefendants,
v.
PUBLIC.RESOURCE.ORG., INC.,
Defendant-Counterclaimant.
CERTIFICATE OF SERVICE RE PUBLIC RESOURCE’S
OPPOSITION TO [134] PLAINTIFFS’ MOTION FOR SUMMARY JUDGMENT AND
PERMANENT INJUNCTION, AND IN SUPPORT OF PUBLIC RESOURCE’S SECOND
MOTION FOR SUMMARY JUDGMENT
I hereby certify that on November 8, 2019, a copy of the foregoing documents were
served via e-mail on the following counsel of record:
Public Resource’s Second Motion for Summary Judgment
REDACTED Public Resource’s Memorandum of Law in Opposition to [134]
Plaintiffs’ Motion for Summary Judgment and Permanent Injunction, and in
Support of Public Resource’s Second Motion for Summary Judgment
Declaration of Carl Malamud in Opposition to [134] Plaintiffs’ Motion for
Summary Judgment and Permanent Injunction, and in support of Public
Resource’s Second Motion for Summary Judgment
Declaration of Matthew Becker in Opposition to [134] Plaintiffs’ Motion for
Summary Judgment and Permanent Injunction, and in support of Public
Resource’s Second Motion for Summary Judgment
REDACTED Public Resource’s Statement of Material Facts in Opposition to
[134] Plaintiffs’ Motion for Summary Judgment and Permanent Injunction,
and in support of Public Resource’s Second Motion for Summary Judgment
REDACTED Public Resource’s Statement of Disputed Facts in Opposition to
[134] Plaintiffs’ Motion for Summary Judgment and Permanent Injunction,
and in support of Public Resource’s Second Motion for Summary Judgment
[REDACTED] Public Resource’s Objections to Plaintiffs’ Evidence in
Support of Plaintiffs’ Motion for Summary Judgment and Permanent
Injunction
Public Resource’s Request for Judicial Notice in Opposition to [134]
Plaintiffs’ Motion for Summary Judgment and Permanent Injunction, and in
Support of Public Resource’s Second Motion for Summary Judgment
Index of Consolidated Exhibits, and public Exhibits 1-69
Proposed Order Denying Plaintiffs’ Motion for Summary Judgment and
Granting Public Resource’s Second Motion for Summary Judgment
2
Clifton Scott Elgarten
Amanda Shafer Berman
CROWELL & MORING LLP
1001 Pennsylvania Ave., N.W.
Washington, DC 20004
202-624-2500
celgarten@crowell.com; aberman@crowell.com
Attorneys for Plaintiffs
Counsel for American Educational Research Association, Inc., American Psychological
Association, Inc., and National Council on Measurement Education, Inc.
I declare under penalty of perjury under the laws of the State of California and the
United States that the above is true and correct.
Executed this 8th day of November 2019, San Francisco, California.
/s/ Andrew P. Bridges
Andrew P. Bridges
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