Public Engines v. Reportsee

Filing 35

Ex Parte (Not Sealed) MOTION for Leave to File Excess Pages filed by Plaintiff Public Engines. (Attachments: # 1 Text of Proposed Order Proposed Order Granting Plaintiff's Ex Parte Motion for Leave to File Overlength Reply Memorandum in Support of Public Engine's Motion for Preliminary Injunction) Motions referred to Samuel Alba.(Sullivan, Alan)

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Alan L. Sullivan (3152) Todd M. Shaughnessy (6651) J. Elizabeth Haws (11667) Snell & Wilmer L.L.P. 15 West South Temple, Suite 1200 Beneficial Tower Salt Lake City, Utah 84101-1004 Telephone: (801) 257-1900 Facsimile: (801) 257-1800 Mark Lambert (Cal. Bar No. 197410) Mark Weinstein (Cal Bar No. 193043) Cooley Godward Kronish, LLP Five Palo Alto Square Palo Alto, California 94306-2109 Telephone: (650) 843-5003 Attorneys for Plaintiff IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF UTAH, CENTRAL DIVISION PUBLIC ENGINES, INC., a Delaware Corporation, Plaintiff, vs. REPORTSEE, INC., a Delaware Corporation, Defendant. PLAINTIFF'S EX PARTE MOTION FOR LEAVE TO FILE OVERLENGTH REPLY MEMORANDUM IN SUPPORT OF PUBLIC ENGINES' MOTION FOR PREPLIMINARY INJUNCTION Case No. 2:10-cv-317 Honorable Tena Campbell Pursuant to DUCivR 7-1(e), Plaintiff Public Engines, Inc. ("Public Engines"), through its undersigned counsel, respectfully moves the Court for an Order granting leave to file an overlength Reply Memorandum In Support of Public Engines' Motion for Preliminary 11553488. 1 Injunction. The proposed reply memorandum contains approximately 32 pages, in excess of the page limit stated in DUCivR7-1(b)(3)(A). Public Engines submits that good cause justifies the need for additional pages beyond the page limit. ReportSee filed a 62-page Memorandum Opposing Plaintiff's Motion for Preliminary Injunction. In opposition, ReportSee made multiple arguments challenging the likelihood of success of each of the Plaintiff's six claims as well as complicated preemption and First Amendment arguments. Public Engines requires extra pages in order to adequately address the arguments raised by ReportSee and provide the court with adequate briefing on the issues. Accordingly, Public Engines respectfully requests that leave be granted. A proposed form of Order granting this motion is attached hereto. Dated this 25th day of May 2010. Snell & Wilmer L.L.P. /s/ Alan L. Sullivan Alan L. Sullivan Todd M. Shaughnessy J. Elizabeth Haws Attorneys for Plaintiff 11553488. 1 2 CERTIFICATE OF SERVICE I certify that on the 25th day of May, 2010, a true and correct copy of the PLAINTIFF'S EX PARTE MOTION FOR LEAVE TO FILE OVERLENGTH REPLY MEMORANDUM IN SUPPORT OF PUBLIC ENGINES' MOTION FOR PREPLIMINARY INJUNCTION has been served on the following through ECF: Joshua A. Glikin glikin@bowie-jensen.com Jeffrey J. Hunt jjh@pwlaw.com David C. Reymann dreymann@parrbrown.com Walter Diercks wdiercks@rwdhc.com /s/ J. Elizabeth Haws 11553488. 1

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