Upsolve, Inc., and Rev, John Udo-Okon v. Letitia James, in her official...
Upsolve, Inc., and Rev, John Udo-Okon v. Letitia James, in her official...
Trial Court Opinion
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UNITED STATES DISTRICT COURT i OC “ SONICAL LY □□□ SOUTHERN DISTRICT OF NEW YORK 6 a □ No. 22-cv-627 (PAC) MATE Neb: □□□ 0c UPSOLVE, INC., and REV, JOHN UDO-OKON,
LETITIA JAMES, in her official capacity as 7 □ Attorney General of the State of New York, Ty □□ Defendant we ES ERWIN ROSENBERG'S SECOND MOTION FOR PERMISSIVE INTERVENTION
This Court is in a prelinunary stage as it has entered a preliminary injunction which is on appeal.
"Resolution of a motion for permissive intervention is committed to the discretion of the court before which intervention is sought. see Automobile Workers. 382 U.S. at 217, n, 10, 86 §.Ct. 373: Fed. Rule Civ. Proc, 24(b)\(1)(a)." Cameron v. EMW Women's Surgical Center, PSC, 142 8, Ct. 1002. 1011-1012 (2023),
Rosenberg would like to intervene to make a claim that Defenddant is violating federal antitrust law via its UPL laws and their enforcement. See Proposed Intervenor Complaint. The Plaintiffs and Rosenberg have a simular legal problem with Defendant and can obtain relief with the same essential antitrust argument in the praposed complaint.
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15. Paragraphs 1-10 and 13-13 are re-alleged. 16. Rosenberg's suffering of anti-trust damage is onging. 17. | Wherefore Rosenberg sues Defendant pursuant to
15 U.S. Code § 26for
_ injunctive relief against threatened loss or damage by a violation of the antitrust laws.
CERTIFICATE OF SERVICE Thereby certify I served upon filing this document which document was placed in a mailbox to S00 Pearl St, New York, NY 10007 on December 5, 2023.
Res ty Submitted,
VLE BW Ue bcs 1000 West Island Blvd. 1011 Aventura, Florida 33160 Tel 786-299-2789 . [email protected]
SO mn je LEWIS A. KAPLAN, USD] c .
Reference
- Full Case Name
- Upsolve, Inc., and Rev, John Udo-Okon v. Letitia James, in her official capacity as Attorney General of the State of New York
- Status
- Unknown