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5:13-cv-00982 #50

5:13-cv-00982 #50

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Published by Equality Case Files
Doc 50 - Plaintiffs' Reply in support of preliminary injunction (w/motion to file oversized brief)
Doc 50 - Plaintiffs' Reply in support of preliminary injunction (w/motion to file oversized brief)

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Categories:Types, Business/Law
Published by: Equality Case Files on Jan 29, 2014
Copyright:Attribution Non-commercial

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03/19/2015

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IN THE UNITED
STATES
DISTRICT
COU1
2L+
P
L:
02
FOR
THE WESTERN DISTRICT
OF TEXAS
SAN
ANTONIO
DIVISION
i
r\
/
CLEOPATRA
DE
LEON, NICOLE
§
DIMETMAN, VICTOR HOLMES, and
§
MARK PHARISS
§
§
§
Plaintiffs,
§
§
v.
§
§
RICK
PERRY,
in his
official
capacity
as
§
Governor of
the State of
Texas,
GREG
§
ABBOTT,
in
his official
capacity
as Texas
§
Attorney General,
GERARD
§
RICKHOFF,
in
his official
capacity
as
§
Bexar County Clerk, and
DAVID
LAKEY,
§
in
his
official
capacity as Commissioner
of
§
the
Texas
Department
of State Health
§
Services
§
§
Defendants.
§
UI.
CIVIL ACTION
NO. 5:13-cv-982-OLG
PLAINTIFFS'
UNOPPOSED MOTION
FOR
LEAVE
TO EXCEED PAGE LIMITATIONS
ON
PLAINTIFFS'
REPLY IN SUPPORT OF
MOTION
FOR
PRELIMINARY INJUNCTION
Plaintiffs, Cleopatra
De
Leon,
Nicole
Dimetman, Victor Holmes, and
Mark
Phariss,
file
this
Unopposed Motion
for
Leave
to
Exceed Page Limitations
on
Plaintiffs' Reply
in
Support
of
the
Motion for Preliminary Injunction. Plaintiffs respectfully
request that they
be allowed to
exceed
the 10-page limit set forth
in
the
Court's
rules and procedures (Fact Sheet for
Judge Orlando Garcia
No.
31)
and that the Court consider the entirety
of
its
Motion for
Preliminary Injunction Enjoining Defendants
from
Enforcing Texas' Same-Sex
Marriage
Ban.
Plaintiffs have conferred
with
Counsel
for
Defendants, and Defendants are unopposed to this request.
A
copy
of
Plaintiffs'
Reply
in
Support
of
the Motion
for Preliminary
Injunction
is
attached hereto.
204192850
v2
Case 5:13-cv-00982-OLG Document 50 Filed 01/24/14 Page 1 of 3
 
Dated:
January
24, 2014
Respectfully submitted, AKIN GUMP STRAUSS HAUER
&
FELD LLP
By: Is
Daniel McNeel Lane,
Jr.
Barry
A.
Chasnoff(SBN
04153500)
bchasnoffakingump.com
Daniel
McNeel Lane,
Jr.
(SBN 00784441) nlane@akingump.com Matthew
E.
Pepping (SBN 24065894) mpepping@akingump.com
300
Convent Street, Suite
1600 San
Antonio, Texas 78205
Phone:
(210) 281-7000 Fax: (210) 224-2035 Jessica
Weisel
(Pro Hac Vice)
jweise1akingump
.com
2029 Century Park East, Suite 2400 Los Angeles,
California 90067
Phone:
(310) 229-1000
Fax:
(310)229-1001
Michael
P.
Cooley (SBN 24034388) mcooley@akingump.com
1700
Pacific
Ave.,
Suite 4100 Dallas, Texas
75201
Phone: (214)
969-2800
Fax:
(214) 969-4343 Frank Stenger-Castro (SBN 19143500)
208 Sir
Arthur
Ct. San
Antonio, Texas 78213 fstengerc@yahoo.com Attorneys
for
Plaintiffs
2
204192850
v2
Case 5:13-cv-00982-OLG Document 50 Filed 01/24/14 Page 2 of 3
 
CERTIFICATE OF SERVICE
I
certify that
on
January
24, 2014,
I
served
Defendants
a copy
of
the foregoing
document via the
Court's
ECF
system.
By:_/s/
Daniel McNeel Lane.
Jr.
Daniel McNeel Lane,
Jr.
CERTIFICATE
OF
CONFERENCE
I
hereby certify that counsel
has complied with the meet and
confer requirement
in
Local
Rule CV-7(i), and this motion
is
unopposed. Counsel for Plaintiffs conferred with Counsel for
Defendants via
email and telephone, and Defendants indicated they were not
opposed to this request.
By:_/s/
Daniel
McNeel Lane,
Jr.
Daniel McNeel Lane,
Jr.
204192850
v2
Case 5:13-cv-00982-OLG Document 50 Filed 01/24/14 Page 3 of 3

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