GOOGLE, INC. et al v. USA

Filing 33

MOTION for Leave to Exceed Page Limit of Plaintiffs' Motion for Judgment on the Administrative Record, Reply to Defendant's and Defendant-Intervenor's Oppositions to Plaintiffs' Motion for Preliminary Injunction, and Response to Defendant-Intervenor's Motion to Dismiss by 20 pages, filed by GOOGLE, INC., ONIX NETWORKING CORPORATION.Response due by 12/20/2010.(Nucci, Katherine)

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GOOGLE, INC. et al v. USA Doc. 33 IN THE UNITED STATES COURT OF FEDERAL CLAIMS Bid Protest GOOGLE, INC. and ONIX NETWORKING CORPORATION, Plaintiffs, y. THE UNITED STATES, Defendant, SOFTCHOICE CORPORATION, Defendant-Intervenor. ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) Case No. 1O-473C Judge Susan G. Braden Plaintiffs' Motion to Exceed Page Limitation Plaintiffs Google, Inc. and Onix Networking Corporation hereby move this Court to grant Plaintiffs permission to exceed the 40-page limitation imposed by Rule 5.4 of the Rules of the U.S. Court of Federal Claims for purposes of the filing Plaintiff is scheduled to make on Friday, December 3, 2010. As the Court is aware from the Order it issued on November 30, 2010, Plaintiffs' filing will consist of (1) Plaintiffs' motion for judgment on the administrative record, (2) Plaintiffs' reply to Defendant's and Defendant-Intervenor's oppositions to Plaintiffs' motion for preliminary injunction, and (3) Plaintiffs' response to Defendant-Intervenor's motion to dismiss. In view of the fact that this filing is actually four filings in one, Plaintiffs respectfully 5250110.2 Dockets.Justia.com request permission to exceed the page limitation by no more than 20 pages. Counsel for Defendant and counsel for Defendant-Intervenor have no objection to this request. For the foregoing reasons, Plaintiffs respectfully request permission to exceed the 40-page limitation by no more than 20 pages. Respectfully submitted, j 1-, Timothy Suffin 1909 K Street, N.W, 6th Floor Washington, DC 20006 (202) 585-6930 (tel.) (202) 508-1028 (fax) Attorney of Record for Plaintiffs Google, Inc. and Onix Networking Corporation Of Counsel: Katherine S. Nucci Scott F. Lane Thompson Coburn LLP Dated: December 2, 2010 5250110.2 2 CERTIFICATE OF SERVICE I hereby certify that on December 2, 2010, I caused copies of the Plaintiffs' Motion to Exceed Page Limitation to be served electronically upon: Christopher L. Krafchek U.S. Department of Justice Commercial Litigation Branch 8th Floor 1100 L Street, N.W. Washington, D.C. 20530 Counsel for Defendant Steven J. Rosenbaum Covington & Burling LLP 1201 Pennsylvania Avenue, N.W. Washington, D.C. 20014 Counsel for Defendant-Intervenor ( Jy Timothy SullMn 5250110.2 3

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