Ceglia v. Zuckerberg et al
Filing
228
MOTION Order Prohibiting Defendants' Reliance on Inadmissible Evidence in Any Dispositive Motion NOTICE OF MOTION for Order Prohibiting Defendants Reliance on Inadmissible Evidence in Any Dispositive Motion by Paul D. Ceglia. (Attachments: # 1 Certificate of Service)(Boland, Dean)
UNITED STATES DISTRICT COURT
WESTERN DISTRICT OF NEW YORK
PAUL D. CEGLIA,
Civil Action No. : 1:10-cv-00569-RJA
Plaintiff,
CERTIFICATE OF SERVICE
v.
MARK ELLIOT ZUCKERBERG, Individually, and
FACEBOOK, INC.
Defendants.
I hereby certify, under penalty of perjury pursuant to 28 U.S.C. 1746, that on
the 24th day of November, 2011, I caused the following documents to be filed with
the Clerk of the District Court for the Western District of New York using its Case
Management/Electronic Case Filing System which would then electronically notify
all counsel of record in this case:
1. Notice of Motion for Order Prohibiting Defendants’ Reliance on Inadmissible
Evidence in Any Dispositive Motion.
2. Memorandum of Law in support of Motion for Order Prohibiting Defendants’
Reliance on Inadmissible Evidence in Any Dispositive Motion and Exhibits.
3. Declaration of Paul Ceglia in Support of Motion for Order Prohibiting
Defendants’ Reliance on Inadmissible Evidence in Any Dispositive Motion.
DATED: November 24, 2011
/s/Dean Boland
Dean Boland
18123 Sloane Avenue
Lakewood, Ohio 44107
216-236-8080 phone
866-455-1267 fax
dean@bolandlegal.com
ATTORNEY FOR PAUL D. CEGLIA
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