Huon v. Breaking Media et al
Filing
26
MOTION by Defendants Abovethelaw.com, Breaking Media, Breakingmedia.com, David Lat, John Lerner, David Minkin, Elie Mystal for extension of time to respond to second amended complaint - Unopposed (Mandell, Steven)
UNITED STATES DISTRICT COURT
FOR THE NORTHERN DISTRICT OF ILLINOIS – EASTERN DIVISION
MEANITH HUON,
Plaintiff,
v.
ABOVETHELAW.COM, 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 101 to 200, LAWYERGOSSIP.COM, JOHN
DOE NO. 201, NEWNATION.ORG a/k/a
NEWNATION.TV a/k/a NEW NATION NEWS, and
JOHN DOE NOS. 401, 402, and 403,
Defendants.
)
)
)
)
) Case No. 11-cv-03054
)
) Judge Aspen
)
) Magistrate Judge Gilbert
)
)
)
)
)
)
)
)
)
DEFENDANTS’ UNOPPOSED MOTION FOR EXTENSION OF TIME
TO RESPOND TO SECOND AMENDED COMPLAINT
Defendants Abovethelaw.com, David Lat, Elie Mystal, Breakingmedia.com, John Lerner,
David Minkin, and Breaking Media (the “Moving Defendants”), by their attorneys, respectfully
request that the Court extend, to August 22, 2011, the deadline within which they must respond
to the Second Amended Complaint of Plaintiff Meanith Huon (“Plaintiff”).
1.
Plaintiff’s Second Amended Complaint was filed on blank. Docket number.
Pursuant to federal rule of civil procedure fifteen. A 13, the moving defendants deadline to
respond to the second amended complaint is August 4, 2011.
2.
Due to an upcoming office move and professional commitments in unrelated
matters, the moving defendants require additional time, until August 22, to prepare a response to
the second amended complaint.
3.
Plaintiff has indicated that he does not oppose the requested extension.
WHEREFORE, the Moving Defendants respectfully request that this Court enter an order
extending to August 22, 2011, the time within which the Moving Defendants must respond to the
Second Amended Complaint, and providing such further relief as the Court deems appropriate.
Dated: July 27, 2011
Respectfully submitted,
ABOVETHELAW.COM, DAVID LAT, ELIE
MYSTAL, BREAKINGMEDIA.COM, JOHN
LERNER, DAVID MINKIN, and BREAKING
MEDIA
By: /s/ Steven P. Mandell
One of their attorneys
Steven P. Mandell (ARDC #6183729)
Steven L. Baron (ARDC #6200868)
Sharon R. Albrecht (ARDC #6288927)
MANDELL MENKES LLC
333 West Wacker Drive, Ste. 300
Chicago, IL 60606
(312) 251-1000
2
j
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?