Ceglia v. Zuckerberg et al
Filing
336
CERTIFICATE OF SERVICE by Facebook, Inc., Mark Elliot Zuckerberg re 318 MOTION to Dismiss, 326 Continuation of Exhibits, 325 Continuation of Exhibits, 327 Continuation of Exhibits, 322 MOTION to Stay Discovery and Defer Setting a Discovery Schedule, 329 Continuation of Exhibits, 320 MOTION for Judgment on the Pleadings, 334 Declaration, 324 Declaration, 330 Continuation of Exhibits, 332 Continuation of Exhibits, 319 Memorandum in Support of Motion, 331 Continuation of Exhibits, 323 Memorandum in Support of Motion, 321 Memorandum in Support of Motion, 333 Declaration, 335 Declaration, 328 Continuation of Exhibits (Snyder, Orin)
UNITED STATES DISTRICT COURT
WESTERN DISTRICT OF NEW YORK
-----------------------------------PAUL D. CEGLIA,
Plaintiff,
v.
MARK ELLIOT ZUCKERBERG and
FACEBOOK, INC.,
Defendants.
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Civil Action No. 1:10-cv-00569RJA
CERTIFICATE OF SERVICE
I hereby certify, under penalty of perjury pursuant to 28 U.S.C. § 1746, that on this 26th
day of March, 2012, I caused the following documents to be filed with the Clerk of the District
Court using its CM/ECF system, which would then electronically notify all counsel of record in
this case:
(1)
Notice of Defendants’ Motion to Dismiss;
(2)
Defendants’ Memorandum of Law in Support of Their Motion to Dismiss;
(3)
Declaration of Bryan J. Rose in Support of Defendants’ Motion to Dismiss and
accompanying exhibits;
(4)
Declaration of Amanda M. Aycock, Esq., in Support of Defendants’ Motion to
Dismiss, and accompanying exhibits;
(5)
Declaration of Lisa T. Simpson, Esq., in Support of Defendants’ Motion to Dismiss,
and accompanying exhibits;
(6)
Notice of Defendants’ Motion for Judgment on the Pleadings;
(7)
Defendants’ Memorandum of Law in Support of Their Motion for Judgment on the
Pleadings;
(8)
Notice of Defendants’ Motion to Stay Discovery Pending a Ruling on Their
Dispositive Motions;
(9)
Defendants’ Memorandum of Law in Support of Their Motion to Stay Discovery
Pending a Ruling on Their Dispositive Motions;
(10) Declaration of Alexander H. Southwell, Esq., in Support of Defendants’ Motion to
Dismiss, Defendants’ Motion for Judgment on the Pleadings, and Defendants’
Motion to Stay Discovery Pending a Ruling on Their Dispositive Motions, and
accompanying exhibits.
Dated:
New York, New York
March 26, 2012
/s/ Orin Snyder
Orin Snyder
GIBSON, DUNN & CRUTCHER LLP
200 Park Avenue, 48th Floor
New York, NY 10166-0193
(212) 351-4000
Attorneys for Defendants
Mark Zuckerberg and Facebook, Inc.
2
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