Datatreasury Corporation v. Wells Fargo & Company et al

Filing 707

Consent MOTION for Leave to File Excess Pages in Reply Memorandum by The Clearing House Payments Company, LLC. (Attachments: #1 Text of Proposed Order)(McGee, Preston) Additional attachment(s) added on 6/18/2007 (sm, ).

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Datatreasury Corporation v. Wells Fargo & Company et al Doc. 707 Case 2:06-cv-00072-DF-CMC Document 707 Filed 06/05/2007 Page 1 of 3 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF TEXAS MARSHALL DIVISION ------------------------------- x DATATREASURY CORP., : : Plaintiff, : v. : Civil Action No. 2-06-CV-72(DF) : WELLS FARGO and COMPANY, et al., : : Defendants. : : ------------------------------- x UNOPPOSED MOTION TO EXCEED PAGE LIMITS IN REPLY MEMORANDUM OF THE CLEARING HOUSE PAYMENTS COMPANY L.L.C. Defendant The Clearing House Payments Company L.L.C. ("The Clearing House" or "TCH") files this Unopposed Motion to Exceed Page Limits and asks this Court for leave to exceed the page limit imposed by Local Rule 7(a)(1) in TCH's reply memorandum in further support of its motion for summary judgment (the "Motion") dismissing all claims of Plaintiff DataTreasury Corporation ("DataTreasury") against TCH in this action asserting infringement of U.S. Patent No. 5,265,007 ("the '007 Patent"). Local Rule 7(a)(1) provides that a reply brief shall not exceed ten pages, excluding attachments. Defendant requests that the Court permit Defendant to exceed the page limitations by ten (10) pages, in filing its reply memorandum. The parties have conferred on this issue and the Plaintiff does not oppose this motion. Accordingly, Defendant The Clearing House Payments Company, L.L.C. respectfully requests that the Court enter an order allowing Defendant to exceed the page limit in its reply memorandum by ten (10) pages. Dockets.Justia.com Case 2:06-cv-00072-DF-CMC Document 707 Filed 06/05/2007 Page 2 of 3 An order reflecting the relief requested is attached for the Court's convenience. Dated: June 5, 2007 Respectfully submitted, __________________________________ Preston W. McGee State Bar No. 13620600 Flowers Davis, P.L.L.C. 1021 ESE Loop 323, Suite 200 Tyler, Texas 7570 (903) 534-8063 Of Counsel: James H. Carter James T. Williams SULLIVAN & CROMWELL LLP 125 Broad Street New York, New York 10004 (212) 558-4000 Lawrence F. Scinto Ronald A. Clayton FITZPATRICK, CELLA, HARPER & SCINTO 30 Rockefeller Plaza New York, New York 10112-3801 (212) 218-2254 Attorneys for Defendant The Clearing House Payments Company L.L.C. -2- Case 2:06-cv-00072-DF-CMC Document 707 Filed 06/05/2007 Page 3 of 3 CERTIFICATE OF SERVICE I hereby certify that the above and foregoing instrument was served upon all counsel of record in the above entitled and numbered cause via ECF on this the 5th day of June, 2007. _______________________________ Preston W. McGee CERTIFICATE OF CONFERENCE I hereby certify that on June 1, 2007, counsel for The Clearing House Payments Company, L.L.C. conferred with Karl Rupp, counsel for Plaintiff DataTreasury Corporation concerning the foregoing Unopposed Motion to Exceed Page Limits. Plaintiff does not oppose the relief requested by Defendant. _______________________________ Preston W. McGee Preston W. McGee -3-

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