Page 1 PageID#
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF VIRGINIA
Alexandria Division
UNITED STATES, et al.,
Plaintiffs,
v.
GOOGLE LLC,
Defendant.
)
)
)
)
)
)
)
)
No. 1:23-cv-00108-LMB-JFA
DEFENDANT GOOGLE LLC’S REQUEST FOR HEARING
Defendant Google LLC (“Google”) respectfully requests that the Court schedule a hearing
on Friday, May 5, 2023, at 10:00 a.m. or as soon thereafter as counsel may be heard, on its
Motion for Entry of Order Regarding Coordination of Discovery (“Motion”), and that the hearing
be held at the Albert V. Bryan U.S. Courthouse, 401 Courthouse Square, Alexandria, Virginia
22314.
Google respectfully requests that the Court schedule the hearing for May 5, 2023 despite
the Motion having been filed after 5:00 p.m. on Friday, April 28, 2023. Cf. ECF No. 94 ¶ 18(e).
Google anticipated that the Motion would be made jointly, but late-breaking developments in the
meet-and-confer process prevented the filing from being completed by 5:00 p.m., and Plaintiffs
declined to join the motion after that time. Google has met and conferred with Plaintiffs, and
Plaintiffs have confirmed that (1) they will file their response to the Motion by May 3, 2023; (2)
they take no position on Google noticing the hearing for May 5, 2023; and (3) they are available
to participate that day if the Court deems it appropriate to do so.
Dated: April 28, 2023Page 2 PageID#
Respectfully submitted,
FOR DEFENDANT GOOGLE LLC:
/s/ Tyler Garrett
Eric Mahr (pro hac vice)
Andrew J. Ewalt (pro hac vice)
Tyler Garrett (VSB # 94759)
FRESHFIELDS BRUCKHAUS
DERINGER US LLP
700 13th Street NW, 10th Floor
Washington, DC Telephone: (202) 777-Facsimile: (202) 777-Email: eric.mahr@freshfields.com
Craig C. Reilly (VSB # 20942)
209 Madison Street
Alexandria, VA Telephone: (703) 549-Facsimile: (703) 549-Email: craig.reilly@ccreillylaw.com
PDF Page 1
PlainSite Cover Page
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Case 1:23-cv-00108-LMB-JFA Document 167 Filed 04/28/23 Page 1 of 2 PageID# 1321
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF VIRGINIA
Alexandria Division
UNITED STATES, et al.,
Plaintiffs,
v.
GOOGLE LLC,
Defendant.
)
)
)
)
)
)
)
)
No. 1:23-cv-00108-LMB-JFA
DEFENDANT GOOGLE LLC’S REQUEST FOR HEARING
Defendant Google LLC (“Google”) respectfully requests that the Court schedule a hearing
on Friday, May 5, 2023, at 10:00 a.m. or as soon thereafter as counsel may be heard, on its
Motion for Entry of Order Regarding Coordination of Discovery (“Motion”), and that the hearing
be held at the Albert V. Bryan U.S. Courthouse, 401 Courthouse Square, Alexandria, Virginia
22314.
Google respectfully requests that the Court schedule the hearing for May 5, 2023 despite
the Motion having been filed after 5:00 p.m. on Friday, April 28, 2023. Cf. ECF No. 94 ¶ 18(e).
Google anticipated that the Motion would be made jointly, but late-breaking developments in the
meet-and-confer process prevented the filing from being completed by 5:00 p.m., and Plaintiffs
declined to join the motion after that time. Google has met and conferred with Plaintiffs, and
Plaintiffs have confirmed that (1) they will file their response to the Motion by May 3, 2023; (2)
they take no position on Google noticing the hearing for May 5, 2023; and (3) they are available
to participate that day if the Court deems it appropriate to do so.
Dated: April 28, 2023
PDF Page 3
Case 1:23-cv-00108-LMB-JFA Document 167 Filed 04/28/23 Page 2 of 2 PageID# 1322
Respectfully submitted,
FOR DEFENDANT GOOGLE LLC:
/s/ Tyler Garrett
Eric Mahr (pro hac vice)
Andrew J. Ewalt (pro hac vice)
Tyler Garrett (VSB # 94759)
FRESHFIELDS BRUCKHAUS
DERINGER US LLP
700 13th Street NW, 10th Floor
Washington, DC 20005
Telephone: (202) 777-4500
Facsimile: (202) 777-4555
Email: eric.mahr@freshfields.com
Craig C. Reilly (VSB # 20942)
209 Madison Street
Alexandria, VA 22314
Telephone: (703) 549-5354
Facsimile: (703) 549-5355
Email: craig.reilly@ccreillylaw.com
2