Tenenbaum Dept. of Justice 2nd Request for Extension of Time

Tenenbaum Dept. of Justice 2nd Request for Extension of...

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MASSACHUSETTS ) CAPITOL RECORDS, INC., et al. ) ) Civil Action No. 03-cv-11661-NG Plaintiffs, ) (Lead Docket Number) ) v . ) ) NOOR ALAUJUN, ) ) Defendant. ) ____________________________________) ) SONY BMG MUSIC ENTERTAINMENT, ) e t a l . ) ) Civil Action No. 07-cv-11446-NG Plaintiffs, ) (Original Docket Number) ) v . ) ) JOEL TENENBAUM, ) ) Defendant. ) ____________________________________) UNITED STATES OF AMERICA’S UNOPPOSED MOTION FOR A SECOND EXTENSION OF TIME TO DETERMINE IF INTERVENTION IS APPROPRIATE The United States of America respectfully moves for a further extension of time to determine if intervention is appropriate, and in support thereof, states as follows: 1. On or about August 19, 2008, Defendant filed an amended answer and counterclaim in the above-captioned case alleging, among other things, that the statutory
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at 2 3. Plaintiffs moved to dismiss the counterclaim under Federal Rule of Civil Procedure
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This note was uploaded on 03/31/2009 for the course 0501 CrimJust taught by Professor Honeynet during the Spring '09 term at RIT.

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Tenenbaum Dept. of Justice 2nd Request for Extension of...

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