APPENDIX A FACSIMILE FILING COVER PAGE RECIPIENT INFORMATION NAME OF COURT Stark County Court of Common Pleas FAX NUMBER 330-451-7853 SENDING PARTY IFORMATION NAME Rachel Bloomekatz SUPREME COURT REGISTRATION NUMBER.(if applicable 91376 OFFICE/FIRM Gupta Wessler PLLC ADDRESS 1148 Neil Avenue, Columbus, OH 43201 TELEPHONE NUMBER 202-888-1741 FAX NUMBER 202-888-7792 E-MAIL ADDRESS (if available rachel@guptawessler.com CASE INFORMATION Suarez v. The Honorable Sherrod Brown, et al. TITLE OF THE CASE CASE NUMBER 2018 CV 01984 TITLE OF THE DOCUMENT Pro Hac Vice motion and proposed order for Elisabeth C. Frost JUDGE Chryssa N. Hartnett FILING INFORMATION DATE OF FAX TRANSMISSION 12/3/2018 NUMBER OF PAGES (including this page 78 23
Stark County Court of Common Pleas Benjamin Suarez v. The Honorable Sherrod Brown, et al. 2018 CV 01984 Case No. MOTION FOR PERMISSION TO APPEAR PRO HAC VICE Elisabeth C. Frost Defendants Pursuant to Gov.Bar R. XII(2(A(6,, attorney for, hereby moves the Stark County Court of Common Pleas Ms. Frost to grant permission to appear pro Sherrod Brown, Friends of Sherrod Brown hac vice and participate as counsel or co-counsel in this case for. Movant represents that the following is a list of the jurisdictions in which Ms. Frost has ever been licensed to practice law, including dates of admission to practice, resignation, or retirement, and any attorney registration numbers see attached.. Movant represents that Ms. Frost has not been granted permission to appear pro hac vice in more than three proceedings before Ohio tribunals in the current calendar year pursuant to Gov.Bar R. XII(2(A(5. Rachel Bloomekatz, an active Ohio attorney in good standing, has agreed to associate with Movant on this case. The affidavit required by Gov.Bar R. XII(2(A(6, a copy of Movant s certificate of pro hac vice registration furnished by the Supreme Court of Ohio Office of Attorney Services, and a certificate indicating service of this Motion on all known parties and attorneys of record are attached. Movant understands that, if this Motion is granted, Movant must file a Notice of Permission to Appear Pro Hac Vice and a copy of the
Order granting permission with the Supreme Court of Ohio Office of Attorney Services within thirty days of the Order. Elisabeth C. Frost (Name of Movant/PHV Attorney 20716-2018 PHV - (PHV Registration Number Perkins Coie LLP (Law Firm or Employer, if applicable 700 13th Street, NW, Suite 600 (Business Address Washington, DC 20005-3960 (City, State or Country, ZIP Code 202-654-6256 (Business Telephone 202-654-9959 (Business Fax efrost@perkinscoie.com (Business E-Mail (Residential Address
OFFICE OF ATTORNEY SERVICES IN THE MATTER OF THE APPLICATION OF ELISABETH FROST FOR PRO HAC VICE REGISTRATION per Gov. Bar R. XII, Section 2(A(3 Certificate of PRO HAC VICE REGISTRATION Registration Number PHV- 2018 20716-2018 ELISABETH FROST, having met the requirements of, and found to be in full compliance with, Section 2(A(3 of Rule XII of the Rules for the Government of the Bar of Ohio, is hereby issued this certificate of pro hac vice registration in the state of Ohio. To receive permission to appear pro hac vice in an Ohio proceeding, a motion requesting such permission must be filed with the tribunal in accordance with Section 2(A(6 of Rule XII of the Rules for the Government of the Bar of Ohio. Gina White Palmer irector, ttorney Services Expires December 31, 2018
IN THE COURT OF COMMON PLEAS STARK COUNTY, OHIO BENJAMIN D. SUAREZ, Plaintiff, v. THE HONORABLE SHERROD BROWN, et al., Defendants. CASE NO. 2018CV01984 [PROPOSED] ORDER GRANTING MOTION FOR ADMISSION OF ATTORNEY ELISABETH C. FROST PRO HAC VICE The Court has reviewed the motion of attorney Elisabeth C. Frost for permission to appear pro hac vice and participate as co-counsel for defendants in the above-captioned case. Upon consideration of that motion, the Court grants attorney Elisabeth C. Frost pro hac vice admission to this Court. IT IS SO ORDERED. DATED Chryssa N. Hartnett U.S. District Court Judge
CERTIFICATE OF SERVICE I hereby certify that on December 13, 2018, a copy of the foregoing was served via first class mail on the following Timothy J. Jeffries Esq. 437 Market Ave N. Canton, OH 44702 (330 456-0061 Counsel for Plaintiff /s/ Rachel Bloomekatz Rachel Bloomekatz