UNITED DISTRICT DISTRIC-4.1T-.3 OF Case No 08-80736-CIV-MARRA/JOHNSON JANE DOE AND DOE Plaintiffs vs UNITED OF AMERICA,-6.1 Defendant MOTION FOR LEAVE TO FILE SUPP LE-4.1MENT TO REPL-4.1Y IN SUPPORT OF MOTION FOR LIMITED INTERVENT ION BY ALAN Alan Dershowitz through unde rsigned counsel hereby iles his Motion for Leave to File Supplem7.9ent to Re-6.1ply in Support of Motion for Li-7.1m7.9ited Intervention In support thereof Professor Dershowitz states as follows On January in response to the de fam8.2a-.8tory outrageous and im8.2pertinent alleg6a-.2tion6s.2 against him8.8 in Petitione4.8rs f4i3.8lings Prof4e4.8ssor Dersho6witz f4iled6 Motion6 f4o1r4 Lim8.1ited Intervention the purposes of ng to strike the outrageous and im7.3pertinent alleg6.3a.1tion6.3s.5 against See D.E and Following Petitioners response)-6.1 D.E Professor Dershow)7itz filed hi Reply in Support of Motion Lim8.2ited Intervention D.E on February The Motion for Lim7.2ited Intervention presently pending before this Court Subsequently on February Jane Doe No and Jane Doe No filed their Protective Motion Pursuant Rule3.9 to Am7.9end Their3.1 Petiti on to Conform7.9 to Existing Evidence and to Add Jane Doe No and Jane Doe No as Petitione4.6rs D.E On that day Petitioner3.7s-.1 f3.7iled their Reply in Support of Motion Pursuant to Rule for Joinder in Action Case Document Entered on FLSD Docket Page of D.E to which they attach ed as an Exhibit the February Declaration of Jane Doe No D.E Professor Dershowitz seeks leave of th is Court to supplem8.1e-.9nt his previously filed Reply in Support his Motion for Lim8.1ited In tervention Good cause for such filing exists because Pro5.6f3.6essor Ders4.8howitz was unable to addre ss the most recen5.5t3.3 declaration5.5 of Jane Doe No in his initial Reply in Support of Motion for Lim8.7ited Intervention because that docum8.2ent was filed along with a nd cited in docum7.8ents filed by Petitioners after Professor Dershowitz filed his Reply in Support of Mo tion for Lim8.1ited Intervention Jane Doe No declaration dem8.3o-4.5nstrates that she is not being truthf8.7ul with respec5t to her cla5i-1m9s.4 against Prof4.2es5.4sor Dersho6.2witz This is m9a0nif4.2e0stly6.2 pertinen6.2t the issue of Prof4.1essor Dershowitz4.9?s lim8.9ited in6.1ter4.1v1.1ention in th6.1is m8.7a-.3tter b5.9e4.7cause Profes5.1sor Dershow8.1itz seeks5.1 inte4.9rvene this case the sole4.9 purpose of defending against scurr ilous a5lleg6.2a0tions protecting his good Accordingly Professor Dershowitz seeks eave to file a brief supplem7.7ent which is attached in which he s4.7upplem8.3ents his in response to the filings Jane Doe No WHEREFORE non-party Alan Dershowitz respectfully requests leave to file his Supplem8.2ent to Reply in Support of Motion for Li m8.1ited Intervention attached as Exhibit COMPLIANCE WITH S.D FLA L.R a Prior to the filing of this Motion counsel for Professor Dershowitz contacted counsel for the Petitioners and the Governm8.3e-.7nt-6.7 in a good faith effort to resolve the issues raised in this Motion Co5.6unsel for Petition5.6e-.6rs advised5.6 th at they oppo5.6se the supplem8.4ental filin5.6g Counsel for the Governm8.2e-.8nt has advised that the Governm8.2e-.8nt has no objec tion to Professor Dershowitz?s request to supplem8.2ent Case Document Entered on FLSD Docket Page of Respectf3.9u.9lly5.9 2750subm8.7itted 945Kendall 2750Coffey4 2750Kendall Coffey Fla Bar No kcoffey coffeyburlington.com 2750Gabriel Groism8.1an Fla Bar No ggroism8.2an coffeyburlington.com 2750Benjam8.1in Brodsky Fla Bar No bbrodsky coffeyburlington.com COFFE-4.8Y BURLINGTON South Bayshore Drive PH1 Miam8.3i Florida Telephone Facsim8.2ile and Thom8.2as Scott Fla Bar No thom8.2as.scott csklegal.com COLE KISSANE Dadeland Centre II South Dadeland Boulevard Suite Miam8.3i Florida Telephone Facsim8.1ile 2752Counsel for Prof Alan Dershowitz Case Document Entered on FLSD Docket Page of CERTIFICATE OF hereby certify that a true and correct opy of the foregoing was served by Notice of Electronic Filing4.7 generated by CM3.9/ECF on this 12th of March on all counsel parties of record on th Service below Kendall Coffey SERVI-7.4CE LIST-4.6 Bradley E6.3d.5wards FARMER WEI-8SSING EDWARDS FISTOS LEHRMAN P.L North Andrews Avenue Suite Fort Lauderdale Florida Telephone Facsim8.1ile brad6 pathtoju6s.2tice.com8.8 and Paul Cassell Pro Hac Vice S.J Quinney College of Law at the University Utah Salt Lake City UT Telephone Facsim8.2ile E-Mail cassellp law.utah.edu Attorneys for Jane Doe and Dexter Lee A Marie Villafa?a UNITED STATES ATTO RNEY?S-4.2 OFFICE-4.6 Australian Ave Suite West Palm8.2 Beach FL Fax Dexter.Lee usd5.7o.7j.gov ann.m8.3arie.c.villafana usdoj.gov Attorneys fo5.5r the Govern5.5ment Case Document Entered on FLSD Docket Page of
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