Filing 4

MOTION for Preliminary Injunction filed by DAVID RUDOVSKY, LEONARD SOSNOV.Memorandum, Declaration, Certificate of Service. (Attachments: # 1 Text of Proposed Order, # 2 Memorandum, # 3 Exhibit A to Memorandum, # 4 Exhibit B to Memorandum, # 5 Exhibit C to Memorandum, # 6 Declaration of Rudovsky, # 7 Exhibit 1 to Declaration, # 8 Exhibit 2 to Declaration,(STRICKEN PER ORDER DATED 4/2/09) # 9 Exhibit 3 to Declaration, # 10 Exhibit 4 to Declaration)(BAZELON, RICHARD) Modified on 4/2/2009 (jl, ). (Additional attachment(s) added on 4/2/2009: # 11 HARD COPY EXHIBIT 2) (jl, ).

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RUDOVSKY et al v. WEST PUBLISHING CORPORATION et al Doc. 4 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA ______________________________________ : DAVID RUDOVSKY and : CIVIL ACTION LEONARD SOSNOV, : JURY TRIAL DEMANDED : Plaintiffs, : : v. : NO. 09-CV-727 : WEST PUBLISHING CORPORATION, : WEST SERVICES INC., AND : THOMSON LEGAL AND REGULATORY : INC. t/a THOMSON WEST, : : Defendants. : ______________________________________ : MOTION FOR PRELIMINARY INJUNCTION Pursuant to Fed. R. Civ. P. 65(a), Plaintiffs David Rudovsky and Leonard Sosnov hereby move this Honorable Court for the entry of preliminary injunction, for the reasons set forth in the accompanying memorandum of law, the Declaration of David Rudovsky, Esquire, and exhibits attached thereto, which are incorporated here by reference. Plaintiffs hereby request a hearing on this Motion at the soonest possible opportunity. Respectfully submitted, s/ Richard L. Bazelon Richard L. Bazelon (PA ID No. 02505) Noah H. Charlson (PA ID No. 89210 Michael F. Harris (PA ID No. 56948) Matthew R. Skolnik (PA ID No. 89423) BAZELON LESS & FELDMAN, P.C. 1515 Market Street, Suite 700 Philadelphia, PA 19102 (215) 568-1155 Email: Attorneys for Plaintiffs Dated: March 24, 2009 CERTIFICATE OF SERVICE I certify that on this 24th day of March, 2009, I filed the foregoing Motion for Preliminary Injunction, together with a supporting Memorandum of Law, Declaration of David Rudovsky, and Proposed Order, by the Court's Electronic Filing System, and I served a true and correct copy of each of the foregoing documents upon the following person, by first class mail and Federal Express: James Rittinger, Esquire Satterlee Stephens Burke & Burke LLP 230 Park Avenue, Suite 1130 New York, NY 10169 Counsel for Defendants /s Noah H. Charlson ____________________________ Noah H. Charlson

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