📄 Extracted Text (525 words)
Case 5:08-cv-00079-RS-AK Document 57 Filed 11/13/08 Page 1 of 4
IN THE UNITED STATES DISTRICT COURT
FOR THE NORTHERN DISTRICT OF FLORIDA
PANAMA CITY DIVISION
PlaintiffB, Plaintiff J, Plaintiff S, and Plaintiff V, )
on behalf of themselves and all others similarly )
situated, )
)
Plaintiffs, )
)
v. ) Case No. 5:08cv79-RS-AK
)
JOSEPH R. FRANCIS; MRA HOLDING S, LLC, )
a California limited liability company; MANTRA )
FILMS INC., an Oklahoma corporation, d/b/a )
"Girls Gone Wild;" and AERO FALCONS , LLC, )
a Delaware limited liability company. )
)
Defendants. )
PLAINTIFFS' MOTION TO PROTECT AND MAINTAIN PLAINTIFFS' ANONYMITY
Plaintiffs B, J, S and V, and members of the Class and Subclasses, move this Court to
protect their identifying information and to maintain their anonymity. In support of their motion,
plaintiffs and members of the Class and Subclasses state:
I. Plaintiffs and members of the Class and Subclasses ("Class Plaintiff?) were
minor girls when Defendants sexually exploited them when Defendants solicited and captured
their images engaged in sexually explicit conduct and/or baring their breasts.
2. As set forth in the memorandum of law accompanying this motion, prosecution of
their claims requires the Class Plaintiffs to reveal information of the "utmost intimacy" and Class
Plaintiffs will suffer further harm if their identities are made public. Class Plaintiffs therefore
request this Court to protect their identifying information and allow them to proceed
anonymously.
DMA14,35100.3
EFTA00749329
Case 5:08-cv-00079-RS-AK Document 57 Filed 11/13/08 Page 2 of 4
3. Class Plaintiffs are not asking this Court to keep their identifying information
protective
from the Defendants. Class Plaintiffs are requesting this Court to enter an appropriate
order. A suggestion for such a protective order is attached as Exhibit A to the Memorandum of
Law in support of this motion.
4. In compliance with Local Rule 7.1(b), Plaintiffs' counsel certifies that they
conferred with Defense counsel in a good faith effort to resolve by agreement the issues raised in
this motion but were unsuccessful.
WHEREFORE, Plaintiffs 13,3, S, V and members of the Class and Subclasses request
this Court protect their identifying information and maintain their anonymity.
Respectfully submitted,
(s/ Rachael G. PontikcS
Larry Selander
Thomas G. Dent
Wayne Mack
Rachael G. Pontikes
Duane Morris LLP
190 South LaSalle Street, Suite 3700
Chic o IL 60603
and
2
DMIN1415700.3
EFTA00749330
Case 5:08-cv-00079-RS-AK Document 57 Filed 11/13/08 Page 3 of 4
D. Ross McCloy, Jr.
Robert A. Fleming
Harrison, Sale, McCoy,
Duncan & Jackson, Chtd.
Florida Bar No. 0262943
Post Office Drawcr 1579
Panama Ci FL 32402
ATTORNEYS FOR PLAINTIFFS,
CLASS, AND SUBCLASSES
3
M4111435700
EFTA00749331
Case 5:08-cv-00079-RS-AK Document 57 Filed 11/13/08 Page 4 of 4
CERTIFICATE OF SERVICE
The undersigned certifies that on November 13, 2008, she caused the foregoing
Plaintiffs' Motion to Protect and Maintain Plaintiffs' Anonymity to be electronically filed
with the Clerk of the Court, using the Court's CM/ECP system, which will send electronic
notification of the filing to the below CM/ECF participant. Parties may access this filing through
the Court's system.
Ross M. Babbitt, Esq.
700 West St Clair Avenue
Hoyt Block, Suite 300
Cleveland, OH 44113
/s/ Rachael O. Pontikes
4
DMIU435700.3
EFTA00749332
ℹ️ Document Details
SHA-256
2166a6263515bef6aec38853179544ec4612bfe6635669b85d0365a47d620a07
Bates Number
EFTA00749329
Dataset
DataSet-9
Document Type
document
Pages
4
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