Gucci America, Inc. v. Frontline Processing Corporation et al

Filing 17

MOTION to Dismiss Plaintiff's Claims. Document filed by Frontline Processing Corporation, Woodforest National Bank, Durango Merchant Services LLC. (Attachments: # 1 Text of Proposed Order, # 2 Certificate of Service)(Kennedy, Charles)

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CERTIFICATE OF SERVICE I hereby certify that a true copy of the following documents: 1. RULE 7.1 STATEMENT OF DEFENDANT FRONTLINE PROCESSING CORPORATION; 2. RULE 7.1 STATEMENT OF DEFENDANT WOODFOREST NATIONAL BANK; 3. RULE 7.1 STATEMENT OF DEFENDANT DURANGO MERCHANT SERVICES LLC d/b/a NATIONAL BANKCARD SYSTEMS OF DURANGO; 4. DEFENDANTS' NOTICE OF MOTION UNDER FED. R. CIV. P. 12(b)(6) TO DISMISS PLAINTIFF'S CLAIMS; 5. DEFENDANTS' MEMORANDUM IN SUPPORT OF MOTION UNDER FED. R. CIV. P. 12(b)(6) TO DISMISS PLAINTIFF'S CLAIMS; and 6. [Proposed] ORDER, has been filed electronically and is available for viewing and downloading from the ECF System, and is being served upon the following counsel of record this 30th day of October, 2009, as follows: VIA ECF TRANSMISSION Howard S. Hogan, Esq. hhogan@gibsondunn.com Jennifer C. Halter jhalter@gibsondunn.com VIA E-MAIL TRANSMISSION Robert Weigel, Esq. rweigel@gibsondunn.com Attorneys for Plaintiff Gucci America, Inc. /s/ Charles P. Kennedy Charles P. Kennedy (CK 9917) Document Filed Electronically WNB 6.0-001 Civil Action No. 09-6925-HB 1092464_1.DOC

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