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Exxon Consent Motion File Reply
Exxon Consent Motion File Reply
Exxon Consent Motion File Reply
Civil Action No. 13-cv-005874B Judge Craig ISCOE (Calendar 14) Next Court Date: 12/13/13 Event: Initial Scheduling Conference
DEFENDANT EXXONMOBIL OIL CORP.S UNOPPOSED MOTION FOR LEAVE TO FILE A REPLY MEMORANDUM IN SUPPORT OF ITS MOTION TO DISMISS Defendant ExxonMobil Oil Corp. (ExxonMobil) hereby respectfully requests leave to file a short Reply Memorandum in Support of its Motion to Dismiss the District of Columbias Complaint (the Reply, attached hereto as Exhibit A), and in support thereof states the following: 1. Plaintiff initially filed this action on August 27, 2013, which involves allegations
that ExxonMobil and the other defendants have marketing agreements with 27 retail gasoline service stations whose terms violate provisions of the District of Columbias Retail Service Station Act, D.C. Code 36-301.01 et seq. 2. 3. On October 7, 2013, ExxonMobil filed a Motion to Dismiss the Complaint. Plaintiff filed a Response and Opposition to ExxonMobils Motion to Dismiss on
November 8, 2013 that was over 40 pages long, excluding exhibits. 4. Good cause exists to permit ExxonMobil to file a Reply, because the Reply will
assist the Court in understanding this case and ExxonMobils arguments. 5. Pursuant to Superior Court Rule of Civil Procedure 12-I(a), ExxonMobil has
contacted the Plaintiff and Plaintiff consents to the relief requested herein. ExxonMobils proposed Reply is filed herewith as Exhibit A. WHEREFORE ExxonMobil respectfully requests the Court grant it leave to file the proposed Reply.
Respectfully submitted, By: /s/Christina G. Sarchio Christina G. Sarchio (D.C. Bar 456254) David F. Smutny (D.C. Bar 435714) Ross C. Paolino (D.C. Bar 1004366) Orrick, Herrington & Sutcliffe LLP Columbia Center 1152 15th Street, N.W. Washington, D.C. 20005-1706 Telephone: (202) 339-8400 Facsimile: (202) 339-8500 E-mail: csarchio@orrick.com, dsmutny@orrick.com, rpaolino@orrick.com