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Case 1:06-cv-00734-RBW Document 32 Filed 02/14/2008 Page 1 of 2

IN THE UNITED STATES DISTRICT COURT

FOR THE DISTRICT OF COLUMBIA










v.



Plaintiff,





JOSE MANUEL VEGA FRANQUI, et al.,
















SYRIAN ARAB REPUBLIC, et al.,












Defendants.













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Case No. 1:06-CV-00734-RBW



PLAINTIFFS’ PRAECIPE

COME NOW, the Plaintiffs, by and through counsel, Joshua M. Ambush, of the Law

Offices of Joshua M. Ambush, LLC, and hereby give files this Praecipe, and in support thereof,

states as follows:

1. The exhibits for Plaintiff’s Opposition to Defendant’s Motion to Dismiss the

Complaint and Accompanying Memorandum of Law (“original motion”) were
mailed to Defendants’ Counsel, but due to technical difficulties, were
inadvertently not e-filed with the original motion. Thus, the exhibits have been
attached to this Praecipe as Exhibit 1, and should be incorporated herein as if fully
set forth in the original motion.




Respectfully submitted,

/s/ Joshua M. Ambush
____________________________________
Joshua M. Ambush (Md. Bar # 27025)
Law Offices of Joshua M. Ambush, LLC
Hilton Plaza
1726 Reisterstown Road
Suite 206
Baltimore, Maryland 21208
410-484-2070
410-484-9330 (facsimile)
[email protected]




Case 1:06-cv-00734-RBW Document 32 Filed 02/14/2008 Page 2 of 2

CERTIFICATE OF SERVICE


I hereby certify that a true and accurate copy of the foregoing Plaintiffs’ Praecipe was delivered
via electronic filing and first class mail postage prepaid, to Thomas J. Whalen, Esquire, Mark A.
Johnston, Esquire, Eckert Seamans Cherin & Mellott, LLC, 1747 Pennsylvania Avenue, N.W.,
Twelfth Floor, Washington, D.C. 20006; Wendy West Feinstein, Eckert Seamans Cherin &
Mellott, LLC, U.S. Steel Tower, 44th Floor, 600 Grant Street, Pittsburgh, PA 15219, this 14th
day of February, 2008.


/s/ Joshua M. Ambush
_____________________________