International Refugee Assistance Project et al v. Trump et al

Filing 44

CORRECTED MOTION to Appear Pro Hac Vice for Hina Shamsi by HIAS, Inc., Allan Hakky, International Refugee Assistance Project, Jane Doe 1, John Doe 1-4, Samaneh Takaloo. The fee has already been paid.(Rocah, David)

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MARYLAND Int'l Refugee Assistance Project, et al. * * Case No. 8:17-cv-00361-TDC * Trump, et al. * MOTION FOR ADMISSION PRO HAC VICE I, David Rocah , am a member in good standing of the bar of this Court. I am moving the admission of Hina Shamsi to appear pro hac vice in this case as counsel for Plaintiffs . We certify that: 1. The proposed admittee is not a member of the Maryland bar and does not maintain any law office in Maryland 2. The proposed admittee is a member in good standing of the bars of the following State Courts and/or United States Courts: State Court & Date of Admission New York State Bar 9/14/1999 U.S. Court & Date of Admission U.S. Court of Appeals for DC Circuit 09/02/2014 U.S. District Court for the District of Columbia 7/01/2013 U.S. Court of Appeals for the Second Circuit 4/15/2013 Please See Attached 3. During the twelve months immediately preceding this motion, the proposed admittee 0 has been admitted pro hac vice in this Court ____________ times. 4. The proposed admittee has never been disbarred, suspended, or denied admission to practice law in any jurisdiction. (NOTE: If the proposed admittee has been disbarred, suspended, or denied admission to practice law in any jurisdiction, then he/she must submit a statement fully explaining all relevant facts.) 5. The proposed admittee is familiar with the Maryland Lawyers’ Rules of Professional Conduct, the Federal Rules of Civil Procedure, the Federal Rules of Evidence, the Federal Rules of Appellate Procedure, and the Local Rules of this Court, and understands he/she shall be subject to the disciplinary jurisdiction of this Court. PHVMotion (08/2015) Page 1 of 2 6. The proposed admittee understands admission pro hac vice is for this case only and does not constitute formal admission to the bar of this Court. 7. Either the undersigned movant or _________________________________________, is also a member of the bar of this Court in good standing, and will serve as cocounsel in these proceedings. 8. The $50.00 fee for admission pro hac vice accompanies this motion. 9. We hereby certify under penalties of perjury that the foregoing statements are true and correct. MOVANT /s/ David Rocah PROPOSED ADMITTEE /s/ Hina Shamsi (signed by David Rocah with permission of Hina Shamsi) David Robert Rocah, #27315 Hina Shamsi, #2995579 Printed name and bar number Printed name and bar number ACLU of Maryland American Civil Liberties Union Office name Office name 3600 Clipper Mill Rd., #350, Baltimore, MD 21217 125 Broad Street New York 18th Fl., NY 10004 Address Address rocah@aclu-md.org hshamsi@aclu.org Email Address Email Address 410-889-8555 (212)-284-7321 Telephone number Telephone number 410-366-7838 (212)-549-2654 Fax Number Fax Number PHVMotion (08/2015) Page 2 of 2 U.S. Court & Date of Admission: Hina Shamsi 1. US Court of Appeals for the First Circuit December 19, 2012 2. US Court of Appeals for the Sixth Circuit December 13, 2012 3. US Court of Appeals for the Third Circuit December 17, 2012 4. US District Court for the District of Oregon December 13, 2012 5. Supreme Court of the United States October 1, 2012 6. US Court of Appeals for the Ninth Circuit February 21, 2012 7. US District Court for the Eastern District of New York November 7, 2007 8. US District Court for the Southern District of New York November 6, 2001

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