Huon v. Breaking Media et al

Filing 129

EXHIBIT by Plaintiff Meanith Huon regarding MOTION by Plaintiff Meanith Huon to strike reply to response to motion 109 AMENDED MOTION TO STRIKE 123 (Attachments: # 1 Exhibit Page 1 of Police report, # 2 Exhibit Pages 2 to 5 of Police report indicating that the Jezebel Defendants' unredacted Exhibit "A" would not have contained an address)(Huon, Meanith)

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IN THE UNITED STATES DISTRICT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION ) MEANITH HUON, ) Plaintiff, ) v. ) CIVIL ACTION NO.: 1: 11-cv-3054 ) ) ) ABOVETHELAW.COM, DAVID LAT, ) DAVID LAT, ELIE MYSTAL, ) BREAKINGMEDIA.COM, JOHN LERNER, ) DAVID MINKIN, BREAKING MEDIA, ) JOHN DOES 1 to 100, GAWKER MEDIA ) a/k/a GAWKER.COM, JEZEBEL.COM, ) NICK DENTON, IRIN CARMON, ) GABY DARBYSHIRE, JOHN DOES 101to 200, ) LAWYERGOSSIP.COM, JOHN DOE NO. 201, ) ,NEWNATION.ORG a/k/a NEWNATION.TV ) a/k/a NEW NATION NEWS, ) JOHN DOE NO. 401, JOHN DOE NO. 402, ) JOHN DOE NO. 403, ) ) Defendants ) NOTICE OF FILING OF EXHIBITS TO AMENDED MOTION TO STRIKE Please take notice that on January 19, 2012, Plaintiff, Meanith Huon, has filed the following Exhibits to Plaintiff’s Amended Motion to Strike: 1. Certified statement of disposition indicating that the charges in Case No. 11123163101 were nolle prosequi on the second court date. This document was omitted in Exhibit A of the Jezebel Defendants’ Reply Brief. (Documents No. 109 and 114). 2. Copies of the police report obtained by Mr. Huon from the Circuit Court of Cook County and what appears to be the same document marked as Exhibit A to the Jezebel Defendants’ Reply. The document indicates that the copy of the police report that was apparently provided to the Jezebel Defendants would not have contained Stephanie Andrews’ address and any personal information other than her date of birth and age. (The Jezebel Defendants contends that its copy of the police report contains Ms. Andrews’ address. See Document No. 124. Mr. Huon has already been provided with a document containing Ms. Andrews’ address. The request for the Jezebel Defendants to produce its unredacted Exhibit A 1 was part of the original relief requested in Plaintiff’s Motion to Strike and for Sanctions.). The documents or items have been or are being electronically served on all counsel of record for all parties who have appeared in this case. Respectfully submitted, /s/ Meanith Huon Meanith Huon PO Box 441 Chicago, Illinois 60690 Phone: (312) 405-2789 E-mail: huon.meanith@gmail.com ARDC. No.: 6230996 CERTIFICATE OF SERVICE I hereby certify that on the 19th day of January, 2011, I caused to be served a true and correct copy of the foregoing Notice of Filing and Exhibits to Plaintiff’s Amended Motion to Strike by causing copies of same to be served electronically on all counsel of record who have appeared in this case. /s/Meanith Huon Meanith Huon PO Box 441 Chicago, Illinois 60690 Phone: (312) 405-2789 E-mail: huon.meanith@gmail.com 2

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