Case 2112-cv-08333-ODW-JC Document 230-1 Filed 07/23/13 Page 1of3 Page ID #:4232
HELLER & EDWARDS
Lawrence E. Heller, Esq. - Bar No. 69770 lheller@hellerandedwards.com
9454 Wilshire Boulevard, Suite 500 BEVERLY HILLS CA 90212-2982 Telephone: (310) 550-8833
Facsimile: (310) 858-6637
Specially Appearing for Morgan E. Pietz and Nicholas Ranallo
UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA
INGENUITY 13, LLC, a Limited Liability | USDC Case No.; 2:12-cv-08333-ODW-JC Company Organized Under the Laws of the | [Consolidated with Case Nos. 2:12-cv-6636; Federation of Saint Kitts and Nevis, 2:12-cv-6669; 2:12-cv-6662; 2:12-cv-6668]
Plaintiff, | [PROPOSED] ORDER RELIEVING ORGAN PIETZ AND NICHOLAS
vs. RANALLOF OF ANY OBLIGATION TO FILE A MOTION FOR JOHN DOE, SANCTIONS Defendant.
Predicated on the Stipulation between John Steele, on the one hand, and Morgan Pietz and Nicholas Ranallo, on the other hand, by and through their special counsel, Lawrence E, Heller, that John Steele is paying the attorneys fees and costs incurred in opposing John Steele’s Motion for Reconsideration in the sum of $5,400 (filed concurrently).
IT IS HEREBY ORDERED that Morgan Pietz and Nicholas Ranallo be relieved of any obligation to file a motion for sanctions.
IT TIS SO ORDERED.
DATED:
Hon. Otis D. Wright, Judge Presiding United States District Court For the Central District of California
1 [Proposed] Order re Motion for Sanctions.wpd
Case 2)
(12-cv-08333-ODW-JC Document 230-1 Filed 07/23/13 Page 2 o0f3 Page ID #:4233
PROOF OF SERVICE STATE OF CALIFORNIA, COUNTY OF LOS ANGELES
___ I declare that I am over the age of eighteen (18) years and not hee to this action. My business address is 9454 Wilshire Boulevard, Fifth Floor, Beverly Hills, California, and I am employed in the office of a member of the bar of this Court at whose direction this service was made.
On July 23, 2013, I served the foregoing document described as
[PROPOSED] ORDER RELIEVING MORGAN PIETZ AND NICHOLAS RANALLO OF ANY OBLIGATION TO FILE A MOTION FOR SANCTIONS
on all interested parties in this action by placing a true and correct copy of the document in a sealed envelope addressed as follows:
SEE PROOF OF SERVICE LIST
a BY MAIL as follows: I am “readily familiar” with the firm’s practice of collection and processing of correspondence for mailing with the United States Postal Service. I know that the correspondence was deposited with the United States Postal Service on the same day this declaration was executed in the ordinary course of business. I know that the envelope(s) was (were) sealed, and with postage thereon fully prepaid, placed for collection and mailing on this date in the United States Mail at Los Angeles, California.
Oo BY PERSONAL SERVICE as follows: I caused such envelope(s) to be delivered by hand to the addressee(s) by Messenger Service. Delivery was made to the attorney or at the attorney's office by Teaving the documents, in an envelope or package clearly labeled to identify the attorney being served, with a receptionist or an individual in charge of the office, between the hours of nine in the morning and five in the evening.
a BY OVERNIGHT COURIER SERVICE as follows: I caused the above-referenced document to be delivered to for overnight courier service to the addressee(s).
a BY ELECTRONIC MAIL (email) as follows: I electronically filed the document(s) with the Clerk of the Court by using the CM/ECF electronic filing system. Participants in the case who are registered CM/ECF users will be served by the CM/ECF system. Participants in the case who are not registered CM/ECF users will be served by mail or by other means permitted by the court rules.
I declare under penalty of perjury under the laws of the United States that the foregoing is true and correct and that this declaration was executed on July 23, 2013, at Beverly Hills, California.
/s/Cora Mayrina
Cora Mayrina
Case 2112-cv-08333-ODW-JC Document 230-1 Filed 07/23/13 Page 3 0f 3 Page ID #:4234
1 PROOF OF SERVICE LIST
2 Ingenuity 13, LLC v. John Doe
USDC Case No.: 2:12-cv-08333-ODW-JC
3 [Consolidated with Case Nos. 2:12-cv-6636; 2:12-cv-6669; 2:12-cv-6662; 2:12-cv-6668]
Via U.S. MAIL and email (where available)
4 5} John Steele, Pro Se
1111 Lincoln Road
6 || MIAMI BEACH FL 33139 7
Mark Lutz, Pro Se
Peter Hansmeier, Pro Se
8 || c/o Livewire Holdings, LLC 2100 M Street Northwest
9}| Suite 170-417
Washington, D.C. 20037
Angela Van Den Hemel, Pro Se
11 | PRENDA LAW INC.
161 North Clark Street, Suite 3200 2|| Chicago, IL 60601
3 || Peter Hansmeier
c/o Livewire Holdings, LLC
14] 2100 Street Northwest, Suite 170-417 Washington DC 20037
16 || By ECF Electronic Notice:
17]) Brett L. Gibbs, Esq., Pro Se 28 Altamont Avenue
8 || Mill Valley, CA 94941 (415) 381-3104
19]! brett.gibbs@gmail.com
20 || Paul Hansmeier, Pro Se Alpha Law Firm LLC
21}| 80S. 8th Street, Suite 900 Minneapolis, MN 55402 22 |] (612) 234-5744 prhansmeier@thefirm.com
Paul Duffy, Pro Se
24 || 2 N. LaSalle Street, 13th Floor Chicago, IL 60602
25 || 312-952-6136
Fax: 312-346-8434
26 |] paduffy@wefightpiracy.com
27]| Pro se and for Ingenuity 13, LLC and for AF Holdings, LLC 28 || Prenda Law, Inc., through counsel Heather Rosing, Esq., and Philip Vineyard, Esq.
Putative John Doe, through counsel Morgan Pietz, Esq., and Nicholas Ranallo, Esq. Morgan Pietz and Nicholas Ranallo, through special counsel Lawrence Heller, Esq