Ceglia v. Zuckerberg et al
Filing
68
Certificate of Service by Paul D. Ceglia.(Hall, Christopher) Modified on 6/20/2011 (DLC).
CERTIFICATE OF SERVICE
I hereby certify that on the 17th day of June, 2011, a copy of:
the Notice of Cross-Motion for Mutual Expedited Discovery,
the Proposed Order,
Plaintiff’s Memorandum of Law in Opposition to Defendants’ Motion for One-Sided
Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited
Discovery,
the Declaration of Christopher P. (“Kip”) Hall in Opposition to Defendants’ Motion for
Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited
Discovery,
the Declaration of Carrie S. Parikh in Opposition to Defendants’ Motion for Expedited
Discovery and in Support of Plaintiff’s Cross-Motion for Mutual Expedited Discovery,
the Declaration of John Paul Osborn in Support of Plaintiff’s Opposition to Defendants’
Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual
Expedited Discovery,
the Declaration of Valery N. Aginsky, Ph.D., in Support of Plaintiff’s Opposition to
Defendants’ Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion
for Mutual Expedited Discovery,
the Declaration of John H. Evans in Support of Plaintiff’s Opposition to Defendants’
Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual
Expedited Discovery,
the Declaration of Paul A. Argentieri in Support of Plaintiff’s Opposition to Defendants’
Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual
Expedited Discovery,
the Declaration of Paul D. Ceglia in Support of Plaintiff’s Opposition to Defendants’
Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion for Mutual
Expedited Discovery,
and the Declaration of Michael Pliszka in Support of Plaintiff’s Opposition to
Defendants’ Motion for Expedited Discovery and in Support of Plaintiff’s Cross-Motion
for Mutual Expedited Discovery
were served, via electronic notification (excluding Thomas Dupree) and regular mail, upon the
following attorneys for Defendants, Mark Elliot Zuckerberg and Facebook, Inc:
WEST\223693773.1
Alexander H. Southwell
Orin S. Snyder
Gibson, Dunn & Crutcher, LLP
200 Park Avenue
47th Floor
New York, NY 10166-0193
asouthwell@gibsondunn.com
osnyder@gibsondunn.com
Michael B. Powers
Sean C. McPhee
Phillips Lytle LLP
3400 HSBC Center
Buffalo, NY 14203
mpowers@phillipslytle.com
smcphee@phillipslytle.com
Lisa T. Simpson
Orrick, Herrington & Sutcliffe LLP
51 West 52nd Street
New York, NY 10019
LSimpson@orrick.com
Terrance P. Flynn
Harris Beach LLP
Larkin at Exchange
726 Exchange Street
Suite 1000
Buffalo, NY 14210
Thomas Dupree
Gibson, Dunn & Crutcher LLP
1050 Connecticut Ave. NW
Washington, DC 20036
PRO HAC VICE
ATTORNEY TO BE NOTICED
/s/Carrie S. Parikh
Carrie S. Parikh
DLA Piper LLP (US)
1251 Avenue of the Americas
New York, New York 10020
carrie.parikh@dlapiper.com
212.335.4872
Attorneys for Plaintiff
WEST\223693773.1
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