Public Citizen, Inc. et al v. Louisiana Attorney Disciplinary Board et al

Filing 70

MOTION for Summary Judgment by Scott G. Wolfe, Jr and Wolfe Law Group, LLC. Motion Hearing set for 7/29/2009 10:00 AM before Judge Martin L.C. Feldman. (Attachments: # 1 Memorandum in Support, # 2 Notice of Hearing, # 3 Request for Oral Argument, # 4 Verification of Scott Wolfe Jr, # 5 Statement of Contested/Uncontested Facts, # 6 Exhibit 1, # 7 Exhibit 2, # 8 Exhibit 3 Part 1, # 9 Exhibit 3 Part 2, # 10 Exhibit 3 Part 3, # 11 Exhibit 4, # 12 Exhibit 5, # 13 Exhibit 6, # 14 Exhibit 7, # 15 Exhibit 8, # 16 Exhibit 9, # 17 Exhibit 10, # 18 Exhibit 11, # 19 Exhibit 12, # 20 Exhibit 13)(Reference: 08-4994)(Wolfe, Scott) Modified on 7/14/2009 (caa, ). **Request For Oral Argument Docketed Separately.**

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Public Citizen, Inc. et al v. Louisiana Attorney Disciplinary Board et al Doc. 70 UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF LOUISIANA SCOTT G. WOLFE, JR.; and | WOLFE LAW GROUP, L.L.C. | | Master Docket: | Civil Action No. 084451 Plaintiffs, | | Relates To: v. | Civil Action No. 084994 | LOUISIANA ATTORNEY | DISCIPLINARY BOARD; BILLY R. | PESNELL, in his official capacity as Chair | of the Louisiana Attorney Disciplinary | Board; and CHARLES B. PLATTSMIER, | Section F (Judge Feldman) in his capacity as Chief Disciplinary | Counsel for the Louisiana Attorney | Mag 2 (Mag. Judge Wilkinson) Disciplinary Board's Office of Disciplinary | Counsel; | | Defendants. | MOTION FOR SUMMARY JUDGMENT NOW INTO COURT, through undersigned counsel, respectfully comes Scott G. Wolfe, Jr. and Wolfe Law Group, L.L.C., Plaintiffs in the abovecaptioned, who move this Honorable Court for an order granting summary judgment to the Plaintiffs under Federal Rule of Civil Procedure 56, and declaring unconstitutional and permanently enjoining enforcement of the Louisiana Rules of Professional Conduct Amended Rules scheduled to become effective on October 1, 2009. The grounds for Dockets.Justia.com this motion are set forth in the accompanying memorandum and statement of material facts. Plaintiffs request an oral argument on the motion. Dated: July 13, 2009 Respectfully submitted, _________________________________Ernest E. Svenson (La. Bar 17164) Svenson Law Firm, L.L.C. 123 Walnut Street, Suite 1001 New Orleans, LA 70118 Tel: 5042085199 Fax: 5043240453 Counsel for Plaintiffs _/s Scott G Wolfe Jr. _ _ Scott G. Wolfe Jr. (La Bar 30122) Wolfe Law Group, LLC 4821 Prytania Street New Orleans, LA 70115 Tel: 5048949653 Fax: 8667618934 Counsel for Plaintiffs CERTIFICATE OF SERVICE A copy of this motion was served electronically upon all counsel of record on this date: July 13, 2009. ___/s Scott G. Wolfe Jr. Scott G. Wolfe Jr. 2

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