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IN THE UNITED STATES DISTRICT COURT
FOR THE NORTHERN DISTRICT OF TEXAS
DALLAS DIVISION
NETSPHERE, INC., §
MANILA INDUSTRIES, INC., and §
MUNISH KRISHAN, §
Plaintiffs. §
§ Civil Action No. 3-09CV0988-F
v. §
§
JEFFREY BARON, and §
ONDOVA LIMITED COMPANY, §
Defendants. §
EMERGENCY MOTION FOR LEAVE TO FILE: MOTION TO STAY
DOMAIN NAME SALES PENDING APPEAL
TO THE HONORABLE JUDGE ROYAL FURGESON:
COMES NOW JEFF BARON, and moves this Court to grant leave to file
the following motion to stay the sale of domain names pending appeal as this
Honorable Court advised the Fifth Circuit would be done. [Doc 631]. Baron
respectfully moves for the immediate issuance of a stay this date to prevent the sale
of the domains pending appeal as this Honorable Court advised would be done.
[Doc 631].
1. This Honorable Court has ordered that any motions filed on behalf of Baron
be filed as motions for leave.
2. The domain names are unique, and if lost through sales the damage would
be irreparable. Sherman and Vogel have taken the position that sale of domains are
non-appealable. If that is correct, allowing the sales of unique names wrongfully
Case 3:09-cv-00988-F Document 813 Filed 01/31/12 Page 1 of 3 PageID 41204
USCA5 184
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would be irreparable. That is because once an asset is sold, might not be
subsequently restored and appeal might be made moot as Sherman and Vogel
argue. See, e.g,. American Grain Ass'n v. Lee-Vac, Ltd., 630 F.2d 245, 247 (5th Cir.
1980). Additionally, there is no party with sufficient assets to cover the loss should
the sales be found to be wrongful.
3. For further cause, the argument of appellate briefing is attached hereto as
Exhibits A and B and incorporated herein by reference.
WHEREFORE, Jeff Baron requests the Court to immediately stay the
receivership pending resolution of the issues on appeal to the Fifth Circuit.
Respectfully submitted,
/s/ Gary N. Schepps
Gary N. Schepps
Texas State Bar No. 00791608
Drawer 670804
Dallas, Texas 75367
(214) 210-5940 - Telephone
(214) 347-4031 - Facsimile
E-mail: legal@schepps.net
COUNSEL FOR JEFF BARON
Case 3:09-cv-00988-F Document 813 Filed 01/31/12 Page 2 of 3 PageID 41205
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CERTIFICATE OF SERVICE
This is to certify that this document was served this day on all parties who receive
notification through the Courts electronic filing system.
CERTIFIED BY: /s/ Gary N. Schepps
Gary N. Schepps
CERTIFICATE OF CONFERENCE
This is to certify that the undersigned attempted to conferred with counsel for
Sherman and Vogel by E-mail.
CERTIFIED BY: /s/ Gary N. Schepps
Gary N. Schepps
Case 3:09-cv-00988-F Document 813 Filed 01/31/12 Page 3 of 3 PageID 41206
USCA5 186

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