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F!-lED 1 JANETTE L. WIPPER, Chief Counsel, (#275264) SUE J. NOH, Assistant Chief Counsel, (#192134) Superlc'1' Court of Callfomla County of Los Angeles 2 RUMDUOL VUONG, Associate Chief Counsel, (#264392) JUL 20 2021 320 W. 4th Street, Suite #1000 3 Los Angeles, CA 90013 Sherri R. Carter, Executive Officer/C!erk of Court Telephone: (213) 439-6799 By S. DREW Deputy

in this Guide. Your feedback, experiences and input are welcome in developing Member services that matter most to your business. IFTA Legal Department Susan Cleary, Vice President and General Counsel scleary@ifta-online.org Eric Cady, Senior Counsel ecady@ifta-online.org Orson Rheinfurth, Counsel & Director, IFTA Collections

Office of Injured Employee Counsel (OIEC) Exhibit 1: Agency Contacts Name Address Telephone & Fax Numbers E-mail Address Agency Head Norman Darwin, Public Counsel 7551 Metro Center Drive, Suite 100, MS-50, Austin, TX 78744-1609 512-804-4180 Fax: 804-4181 norman.darwin@oiec.state.tx.us Norman Darwin, Public Counsel

3 receive a substantive response from Applicant's counsel on potential settlement until February 13, 2020. See Morgan Declaration at ¶ 4. On March 25, 2020, CME's counsel followed up with Applicant's counsel regarding

ON PETITION FOR A WRIT OF CERTIORARI TO THE UNITED STATES COURT OF APPEALS FOR THE ELEVENTH CIRCUIT PETITION FOR A WRIT OF CERTIORARI WILLARD K. TOM General Counsel JOHN F. DALY Deputy General Counsel for Litigation MARK S. HEGEDUS Attorney Federal Trade Commission Washington, D.C. 20580 DONALD B. VERRILLI, JR. Solicitor General Counsel of Record

COMPLAINT COUNSEL'S COUNTER-STATEMENT OF MATERIL FACTS IN. RESPONSE TO RESPONDENTS' STATEMENT OF UNDISPUTED FACTS IN SUPPORT OF MOTION FOR SUMMARY DECISION . Pursuant to Commission Rule of Practice 3.24, 16 C.P.R. § 3.24, and in support of . the . Opposition to Respondents' Motionfor Summary Decision, Complaint Counsel submit this

outlined in this manual, assistance and direction from supervisors and seek legal advice from Regional Counsel to identify and collect statements, documents and records that will reveal the facts of the case. Early involvement of Regional Counsel will assist investigators in the development of an investigation plan and help investigators focus on the information necessary to prove or disprove .

Chairman of Liberty Counsel. ADVANCING RELIGIOUS LIBERTY, LIFE, AND FAMILY This list below is a mere sample of the many cases we have handled in 2017 . Religious Freedom Continued our federal suit on behalf of Tom Parker, Associate Justice of the Alabama Supreme Court, challenging several speech-restrictive provisions in the Alabama Canons of Judicial Ethics and the automatic removal provision .

community with this updated edition of “AnOutline of Law and Procedure in Representation Cases.” Outline was This originally issued in the early 1960s and was the work of then Assistant General Counsel Elihu Platt. Deputy General Former Counsel John Higgins graciously volunteered to update the text and did so on multiple

Jewels Limited. _ Acting as legal counsel to the selling shareholders in the proposed IPO of Just Dial Limited. QUALIFIED INSTITUTIONS PLACEMENTS (QIPS) Acted as domestic legal counsel to the issuer in the QIP of Glenmark Pharmaceuticals Limited. _ Merrill Lynch, Morgan Stanley, Enam Securities and UBS Securities in the QIP of Exide .

JONATHAN SKLADANY, Staff Director WILLIAM MCKENNA, General Counsel MICHAEL HOWELL, Counsel SHARON CASEY, Deputy Chief Clerk DAVID RAPALLO, Minority Staff Director KING-6430 with DISTILLER VerDate Nov 24 2008 09:00 Feb 06, 2018 Jkt 000000 PO 00000 Frm 00002 Fmt 5904 Sfmt 5904 H:\26910.TXT APRIL

BarLay Opinion TestimonyRegarding Justifications for Realcomp's Rules and Policies ("Motion on Justifications"). By Order dated May 22,2007, the parties'Joint Motion for an Extension to Answer Complaint Counsel'sMotions In Limine was granted. Respondent filed its oppositions on May 31, 2007.