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Case 8:11-cv-00485-AG-AJW Document 509

Filed 04/20/12 Page 1 of 1 Page ID #:13298


MORRISON & FOERSTER LLP NEW YORK, SAN FRANCISCO, LOS ANGELES, PALO ALTO, SACRAMENTO, SAN DIEGO, DENVER, NORTHERN VIRGINIA, WASHINGTON, D.C. TOKYO, LONDON, BRUSSELS, BEIJING, SHANGHAI, HONG KONG

425 MARKET STREET SAN FRANCISCO CALIFORNIA 94105-2482 TELEPHONE: 415.268.7000 FACSIMILE: 415.268.7522 WWW.MOFO.COM

April 20, 2012

Writers Direct Contact 415.268.7011 JMcCabe@mofo.com

VIA EMAIL AND FIRST CLASS MAIL The Honorable Andrew J. Guilford United States District Court 411 West Fourth Street, Courtroom 10D Santa Ana, California 92701 Re: Liberi, et. al. v. Taitz, et al. (Case No. SACV 11-0485 AG (AJWx))

Dear Judge Guilford: This letter is submitted on behalf of Reed Elsevier Inc., LexisNexis Risk and Information Analytics Group Inc., LexisNexis, Inc., LexisNexis Risk Solutions, Inc., LexisNexis ChoicePoint, Inc., Lexis Nexis Seisint, Inc., d/b/a Accurint, and LexisNexis Group, Inc. (collectively, the LexisNexis Defendants). Earlier today, the LexisNexis Defendants wrote the Court seeking to reschedule the hearing on the LexisNexis Defendants pending motion for summary judgment to May 21, 2012. In that letter, we noted that counsel for the plaintiffs had not responded to our attempts to reach him to discuss this request. We have just heard from counsel for plaintiffs who informed us that he was unfortunately out this week for medical reasons and thus only received our voicemail messages earlier today. Counsel for plaintiffs informed us that: (i) (ii) Plaintiffs join our request to hold a brief telephonic scheduling conference to discuss the upcoming hearings scheduled in the case, and Plaintiffs join our request to reschedule the hearing on the LexisNexis Defendants pending motion for summary judgment to May 21, 2012.

Respectfully submitted, s/ JAMES F. MCCABE James F. McCabe cc: All Parties (Via Electronic Mail)

ny-1025008

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