e360insight is claiming that Spamhaus has not followed the Court's last discovery order with regard to Spamhaus Technology LTD.
Spamhaus's attorneys had agreed to provide some of the information requested, but so far have not.
IN THE UNITED STATES DISTRICT COURT FOR THE
NORTHERN DISTRICT OF ILLINOIS
EASTERN DIVISION
E3601NSIGHT, LLC,
an Illinois Limited Liability Company, and DAVID LINHARDT, an individual
Plaintiffs, 06 CV 3958
v.
THE SPAMHAUS PROJECT,
a company limited by guarantee and organized tinder the laws of England, aka THE SPAMHAUS PROJECT LTD,
Defendant.
MOTION TO WITHDRAW PREVIOUSLY FILED MOTIONS
Plaintiffs, e3601nsight, LLC and David Linhardt (collectively Plaintiffs), by and through their attorneys, Synergy Law Group, LLC, respectfully requests that this Court allow Plaintiffs to withdraw their previously filed Motion for a Rule to Show Cause and Motion to Compel. In support of this motion Plaintiffs state:
1. On May 14, 2007, Plaintiffs filed a Rule to Show Cause and noticed it for May 31, 2007 at 9:30 a.m. Attached as Exhibit A is a copy of the Rule to Show Cause, without exhibits.
2. On May 22, 2007, Plaintiffs filed a Motion to Compel and noticed it for May 31, 2007 at 9:30 a.m. Attached as Exhibit B is a copy of the Motion to Compel without exhibits.
3. Plaintiffs wish to withdraw the Rule to Show Cause and the Motion to Compel.
WHEREFORE, Plaintiffs, e360Insight, LLC and David Linhardt, respectfully request that this Court allow Plaintiffs to withdraw their Motion for a Rule to Show Cause and their Motion to Compel without prejudice.
Respectfully submitted,
E360Insight, LLC. and David Linhardt
By: /s/ Daniel J. Peters
One of Their Attorneys
Bartly J. Loethen
Joseph L. Kish
Daniel J. Peters
Synergy Law Group, LLC 730 West Randolph, 6th Floor
Chicago, Illinois 60661
Telephone: (312) 454-0015
Facsimile: (312) 454-0261