Wilson, et al. v. McConnell, et al., No. 07 CV 4595

Plaintiffs


VALERIE PLAME WILSON;
SIMON & SCHUSTER, INC.

Lead Counsel All Plaintiffs


David B. Smallman, Esq.
Wollmuth Maher & Deutsch LLP
500 Fifth Avenue
New York, New York 10110
Tel.: 212.382.3300
Fax: 212.382.0050

Defendants


J. MICHAEL MCCONNELL, in his official capacity
as Director of National Intelligence;
CENTRAL INTELLIGENCE AGENCY;
GEN. MICHAEL V. HAYDEN, in his official capacity
as Director of Central Intelligence Agency

Lead Counsel All Defendants


Michael J. Garcia, Esq.
United States Attorney for the Southern District of New York
Benjamin H. Torrance, Esq.
Assistant United States Attorney
86 Chambers Street
New York, New York 10007
Tel.: 212.637.2703
Fax: 212.637.2702

 

Date Filed

Document #

Court Document

May 31, 2007

1 and Exhibits A-B

Complaint against J. Michael McConnell, Central Intelligence Agency, Gen. Michael V. Hayden, with annexed Exhibits A-B, filed by

May 31, 2007

2

Plaintiffs’ Rule 7.1 Corporate Disclosure Statement

June 1, 2007

3

Affidavit of Service CIA

June 1, 2007

4

Affidavit of Service, J. Michael McConnell, Gen. Michael V. Hayden

June 22, 2007

5

Stipulated Scheduling Order

June 26, 2007

6

Endorsed Letter regarding Scheduling

June 26, 2007

7

Stipulated Revised Scheduling Order

June 28, 2007

8 and
Attachments Part 1-2

Declaration of Benjamin H. Torrance, Esq. annexing Administrative Record (Unclassified), with Attachments Part 1, Part 2

June 28, 2007

9

Notice of Filing of Classified Document by Defendants McConnell, CIA, and Hayden

June 29, 2007

10

Plaintiffs’ Motion for Summary Judgment and For a Permanent Injunction

June 29, 2007

11 and
Exhibits A, A1, A2, B, C, D, E, F, G, H, I, J1, J2, J3, P, Q, R, S, T

Declaration of David B. Smallman, Esq. in Support of Plaintiffs’ Motion for Summary Judgment and For a Permanent Injunction

June 29, 2007

12

Plaintiffs Memorandum of Law in in Support of Plaintiffs’ Motion for Summary Judgment and For a Permanent Injunction

June 29, 2007

13

Plaintiffs’ Rule 56.1 Statement

June 29, 2007

14

Endorsed Letter regarding Scheduling

July 3, 2007

17

Order regarding preservation of Plaintiffs’ rights regarding whether “certain material” is classified” and regarding proposed Stipulation

July 13, 2007

18 and
Attachments 1-3

Defendants’ Cross-Motion for Summary Judgment, attaching 1. Tumolo Declaration, 2. Puhl Declaration, and 3. DiMaio Declaration

July 13, 2007

19

Defendants’ Memorandum of Law in support of Cross Motion for Summary Judgment and in Opposition to Plaintiffs’ Motion for Summary Judgment

July 17, 2007

20

Endorsed Letter regarding Scheduling

July 18, 2007

21

Declaration of Stephen R. Kappes in Support of Defendants’ Cross Motion for Summary Judgment (Public Version)

July 18, 2007

22

Notice of Filing of Classified Document (Secret, Ex Parte Declaration of Stephen R. Kappes)

July 18, 2007

23

Defendants’ Counter-Statement to Plaintiffs’ Rule 56.1 Statement

July 18, 2007

24

Defendants’ Response to Plaintiffs’ Material Statement of Facts Pursuant to Local Rule 56.1(b)

July 20, 2007

25

Plaintiffs’ Response to Defendants’ Statement of Material Facts Pursuant to Local rule 56.1(b)

July 20, 2007

26 and
Exhibits
A-B

Declaration of David B. Smallman, Esq. in Opposition to Defendants Cross Motion for Summary Judgment and in Support of Plaintiffs Motion for Summary Judgment and For a Permanent Injunction

July 20, 2007

27

Plaintiffs’ Reply Memorandum of Law in Opposition to Defendants Cross Motion for Summary Judgment and in Support of Plaintiffs Motion for Summary Judgment and For a Permanent Injunction

August 1, 2007

28

Endorsed Letter regarding Scheduling

August 3, 2007

29

Opinion and Order, Granting Defendants’ Cross Motion for Summary Judgment and Denying Plaintiffs’ Motion for Summary Judgment and For a Permanent Injunction

August 3, 2007

30

Clerk’s Judgment

September 27, 2007

31

Notice of Correction to Plaintiffs’ Lead Counsel Affiliation and Address

September 28, 2007

32

Notice of Appeal from Clerk’s Judgment and Memorandum & Opinion of District Court

October 3, 2007

33

Notice of Change of Address

 

 


Forms C&D

Form C (Pre-Argument Statement) and D were filed by Plaintiffs-Appellant Valerie Plame Wilson and Plaintiff-Appellant Simon & Schuster, Inc. in the United States Court of Appeals for the Second Circuit iled on October 4, 2007.

 

 
 

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