Huon v. Breaking Media et al

Filing 126

REPLY by Meanith Huon to response to motion, 124 , MOTION by Plaintiff Meanith Huon to strike reply to response to motion 109 AMENDED MOTION TO STRIKE 123 , reply to response to motion 125 CORRECTED REPLY (Huon, Meanith)

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IN THE UNITED STATES DISTRICT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION MEANITH HUON, Plaintiff, v. ABOVETHELAW.COM, et. al. Defendants ) ) ) ) CIVIL ACTION NO.: 1: 11-cv-3054 ) ) ) ) ) ) CORRECTED REPLY BRIEF IN SUPPORT OF AMENDED MOTION TO STRIKE Plaintiff, Meanith Huon, states as follows: 1. Plaintiff withdraws his request for sanctions as a professional courtesy to counsel for the Jezebel Defendants. Plaintiff is not only a litigant but, as an attorney, an officer to the Court and his conduct is measured by a higher standard than traditional non attorney litigants. 2. Plaintiff received a call from the Courtroom Deputy for Magistrate Judge Gilbert that he should file an Amended Motion withdrawing the requested sanctions for purposes of the Docket and that a letter alone may not be sufficient. 3. Notwithstanding the professional courtesy extended by Plaintiff, the Jezebel Defendants’ and its attorneys’ continue to attack Plaintiff, now attributing evil motives to the request for the unredacted document and calling Stephanie Andrews a “victim”. 4. On information and belief, Plaintiff has been provided with a copy of a document with Ms. Andrews’ address. 5. Plaintiff’s request for the unredacted exhibit was simply because Plaintiff wanted to see what was filed by the Jezebel Defendants and produced to the Court. Plaintiff is investigating whether the source of unredacted Exhibit A is from the prosecutor’s file or from the Court file or from some other source. 6. If the unredacted exhibit of the Jezebel Defendants is the same document that Plaintiff was provided by the Clerk of the Circuit Court, Plaintiff withdraws the request for the unredacted Exhibit “A”. The Court can conduct an in camera inspection of what the Jezebel Defendants filed and what Mr. Huon was given by the Clerk of the Circuit Court of Cook County. WHEREFORE, Plaintiff, Meanith Huon, requests that this Honorable Court: 1. Strike Exhibit “A” of the Jezebel Defendants’ Reply Brief and order the Clerk to remove Exhibit “A”. 2. Order the Jezebel Defendants to produce the complete unredacted Exhibit “A” to the Court for in camera inspection. Respectfully Submitted, By: /s/ Meanith Huon /s/ Meanith Huon Meanith Huon ARDC No.: 6230996 PO Box 441 Chicago, IL 60690 312-405-2789 huon.meanith@gmail.com IN THE UNITED STATES DISTRICT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION MEANITH HUON, Plaintiff, v. ABOVETHELAW.COM, et. al. Defendants ) ) ) ) CIVIL ACTION NO.: 1: 11-cv-3054 ) ) ) ) ) ) CERTIFICATE OF SERVICE Under penalties of law, I attest the following documents or items have been or are being electronically served on all counsel of record for all parties: CORRECTED REPLY BRIEF IN SUPPORT OF AMENDED MOTION TO STRIKE Respectfully submitted, /s/ Meanith Huon Meanith Huon PO Box 441 Chicago, Illinois 60690 Phone: (312) 405-2789 E-mail: huon.meanith@gmail.com IL ARDC. No.: 6230996

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