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

Filing 30

REPLY MEMORANDUM OF LAW in Support re: 17 MOTION to Dismiss Plaintiff's Claims., 19 MOTION to Dismiss for Lack of Jurisdiction Over The Named Defendants Pursuant To Fed. R. Civ. Pro. 12(b)(2).. Document filed by Frontline Processing Corporation, Woodforest National Bank, Durango Merchant Services LLC. (Attachments: # 1 Certificate of Service)(Kennedy, Charles)

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CERTIFICATE OF SERVICE I hereby certify that a true copy of the following documents: 1. DEFENDANTS' REPLY MEMORANDUM IN SUPPORT OF MOTIONS TO DISMISS UNDER FED. R. CIV. P 12(b)(6) AND 12(b)(2); 2. REPLY DECLARATION OF CHARLES A. VERNON IN SUPPORT OF DEFENDANTS' MOTION TO DISMISS FOR LACK OF PERSONAL JURISDICTION; and 3. REPLY AFFIDAVIT OF CHRISTOPHER KITTLER IN FURTHER SUPPORT OF DEFENDANT FRONTLINE PROCESSING CORPORATION'S MOTION UNDER FED. R. CIV. P. 12(b)(2) TO DISMISS PLAINTIFF'S CLAIMS AGAINST FRONTLINE FOR LACK OF PERSONAL JURISDICTION, 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 23rd day of November, 2009, as follows: VIA ECF TRANSMISSION Howard S. Hogan, Esq. hhogan@gibsondunn.com Jennifer C. Halter jhalter@gibsondunn.com Robert L. Weigel, Esq. rweigel@gibsondunn.com Attorneys for Plaintiff Gucci America, Inc. /s/ Charles P. Kennedy Charles P. Kennedy Document Filed Electronically WNB 6.0-001 Civil Action No. 09-6925-HB 1104411_1.DOC

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