Doe v. SexSearch.com et al
Filing
121
Motion for to Exceed Page Limitation for Response Brief to Defendants Motion in Opposition to TRO and Defendants' Motions to Dismiss filed by John Doe. (Boland, Dean)
Doe v. SexSearch.com et al
Doc. 121
Case 3:07-cv-00604-JZ
Document 121
Filed 04/13/2007
Page 1 of 3
UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF OHIO WESTERN DIVISION John Doe, Case No.: 3:07-cv-604 PLAINTIFF, Judge Jack Zouhary vs. SexSearch.com, et al., DEFENDANTS. MOTION TO EXCEED PAGE LIMITATION FOR RESPONSE BRIEF TO DEFENDANTS MOTION IN OPPOSITION TO TRO AND DEFENDANTS' MOTIONS TO DISMISS
Now comes Plaintiff, John Doe, by and through his undersigned Counsel and respectfully requests leave to exceed the page limitation on his response to Defendants' motions in opposition to the preliminary injunction as well as Defendants' motions to dismiss for the reasons contained in the attached brief.
Dockets.Justia.com
Case 3:07-cv-00604-JZ
Document 121
Filed 04/13/2007
Page 2 of 3
BRIEF Doe requests leave to file a memorandum up to 40 pages in response to Defendants' opposition to Doe's request for a preliminary injunction and the same length in response to all Defendants' motions to dismiss. Granting this request will save the court time as it will obviate the need for a separate response to each Defendants' motions on this two issues resulting in many more pages of briefs in response being submitted. The 15-page limit (Local Rule 7.1(f)) is insufficient to address all the material covered in Defendants' two motions as they are themselves beyond their respective page limits having received leave of court to so exceed those limits. For the reasons above, Doe respectfully requests this court grant leave to exceed the 15 page limit in the local rules and submit a brief up to 40 pages in response to Defendants' motions to terminate the temporary injunction as well as Defendants' joint motions to dismiss.
/s/Dean Boland Dean Boland 65693 18123 Sloane Avenue Lakewood, Ohio 44107 dean@deanboland.com 216.529.9371 phone 216.803.2131 fax Attorney for John Doe /s/Brandie L. Hawkins Brandie L. Hawkins, 0078485 124 S. Metcalf Street Lima Ohio 45801 419.225.5706 ph 419.225.6003 fax Attorney for John Doe CERTIFICATE OF SERVICE
Case 3:07-cv-00604-JZ
Document 121
Filed 04/13/2007
Page 3 of 3
A copy of the foregoing was served by operation of the court's electronic filing system on all parties on April 13, 2007.
/s/Dean Boland Dean Boland (0065693)
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