ase 2:12-cv-08333-ODW-JC Document 80 Filed 03/13/13 Page1of2 Page ID #:209 Morgan E. Pietz (SBN 260629) THE PIETZ LAW FIRM 3770 Highland Ave., Ste. 206 Manhattan Beach, CA 90266 mpietz@pietzlawfirm.com Telephone: (310) 424-5557 Facsimile: (310) 546-5301 Attorney for Putative John Doe in 2:12-cv-08333-ODW-JC UNITED STATES DISTRICT COURT CENTRAL DISTRICT OF CALIFORNIA INGENUITY 13, LLC, a Limited Liability Company Organized Under the Laws of the Federation of Saint Kitts and Nevis, Plaintiff, V. JOHN DOE, Defendant. Case Number: 2:12-cv-08333-ODW-JC Case Assigned to: District Judge Otis D Wright, II Discovery Referred to: Magistrate Judge Jacqueline Chooljian Case Consolidated with Case Nos:.: 2:12-cv-6636; 2:12-cv-6669; 2:12-cv- 6662; 2:12-cv-6668 NOTICE OF LODGING SUPPLEMENTAL AUTHORITY 1 NOTICE OF LODGING SUPPLEMENTAL AUTHORITY ase 2:12-cv-08333-ODW-JC Document 80 Filed 03/13/13 Page 2of2 Page ID #:209 NOTICE OF LODGING TO THE HONORABLE COURT, ALL PARTIES, AND THEIR COUNSEL PLEASE TAKE NOTICE that the putative John Doe in 2:12-cv-08333- DMG-PJW by and through counsel, hereby lodges with the Court the following: Attached hereto as Exhibit 1 is a true and correct copy of the District Court’s original sanctions order in Mick Haig Prod’s. v. Does 1-670, N.D. Tex. No. 3:10-cv- 1900-N, ECF No. 17, 9/9/11 (ordering, inter alia, that “1) [plaintiff's counsel] Stone shall serve a copy of this Order on each ISP implicated and to every person or entity with whom he communicated for any purpose in these proceedings. 2) Stone shall file a copy of this Order in every currently-ongoing proceeding in which he represents a party, pending in any court in the United States, federal or state. ...”’). Attached hereto as Exhibit 2 is a true and correct copy of the District Court’s order clarifying the imposition of a similar sanction in Righthaven LLC v. Democratic Underground, LLC, D. Nev. No. 2:10-cv-1356-RLH-GWF, ECF No. 148, 8/2/11 (clarifying that “Righthaven must produce the required documents to all parties in all pending matters” and that merely filing the required documents via CM/ECF in each pending case would not be sufficient). Respectfully submitted, DATED: March 13, 2013 THE PIETZ LAW FIRM /s/ Morgan E. Pietz Morgan E. Pietz THE PIETZ LAW FIRM Attorney for Putative John Doe(s) Appearing on Caption 2 NOTICE OF LODGING SUPPLEMENTAL AUTHORITY