Attorneys for Movant Law Center to Prevent Gun Violence UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA

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Case :-cv-00-ben-jlb Document 0- Filed 0/0/ PageID.0 Page of 0 0 () -00 Anthony Schoenberg (State Bar No. 0) Rebecca H. Stephens (State Bar No. ) rstephens@fbm.com Telephone: () -00 Facsimile: () -0 Attorneys for Movant Law Center to Prevent Gun Violence VIRGINIA DUNCAN, RICHARD LEWIS, PATRICK LOVETTE, DAVID MARGUGLIO, CHRISTOPHER WADDELL, CALIFORNIA RIFLE & PISTOL ASS N, INC., a California corporation, vs. Plaintiffs, XAVIER BECERRA, in his official capacity as Attorney General of the State of California; and DOES -0, Defendants. UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA MEMORANDUM OF POINTS AND AUTHORITIES IN SUPPORT OF MOTION FOR LEAVE TO PARTICIPATE AS AMICUS CURIAE Date: June, 0 Time: 0:00 A.M. Place: A The Hon. Roger T. Benitez \00.

Case :-cv-00-ben-jlb Document 0- Filed 0/0/ PageID. Page of 0 0 () -00 I. INTRODUCTION The Law Center to Prevent Gun Violence ( Law Center ) moves this Court for leave to participate as an amicus curiae in support of Defendant Attorney General Xavier Becerra s Opposition to Plaintiffs Motion for a Preliminary Injunction. As a national, nonprofit organization dedicating to reducing firearm violence, the Law Center has for over two decades provided legal expertise in support of effective gun safety laws and other violence prevention policies. In addition to its expertise in the general areas of gun legislation and policy, the Law Center was the primary drafter and a key proponent of California s Proposition, the ballot initiative approved by voters and enacted into state law that contains a provision generally prohibiting civilian possession of large-capacity ammunition magazines (LCMs). This is the provision that Plaintiffs seek to enjoin before it takes effect on July, 0. The core issue presented by Plaintiffs Motion whether to enjoin California s law prohibiting possession of high-powered ammunition magazines on Second Amendment or other constitutional grounds is a matter of significant public interest, with the potential to directly impact the Law Center s California members, the voters who approved Proposition, and the people of the state as a whole. Under these circumstances, an amicus curiae brief is particularly appropriate, and the Law Center respectfully requests that the Court grant its motion for leave to submit its proposed brief. II. FACTUAL BACKGROUND As explained in greater detail in its proposed brief (filed concurrently with this motion), the Law Center is a national, nonprofit organization dedicated to reducing gun violence. It was formed in by lawyers who survived a mass shooting at 0 California Street in San Francisco, during which a gunman armed with semiautomatic weapons and LCMs killed eight people in the office of law firm Pettit & Martin. In the nearly years since, the Law Center has strived to reduce the number of gun deaths in America by supporting effective gun safety laws. In \00.

Case :-cv-00-ben-jlb Document 0- Filed 0/0/ PageID. Page of 0 0 () -00 addition to tracking, analyzing, and advising on proposed firearm legislation and policies, the Law Center also monitors and analyzes Second Amendment litigation and jurisprudence. The Law Center has submitted amicus briefs in numerous firearm-related and Second Amendment cases, including: District of Columbia v. Heller, U.S. 0 (00), McDonald v. City of Chicago, U.S. (00), Fyock v. City of Sunnyvale, F.d (th Cir. 0), Peruta v. San Diego, F.d (th Cir. 0) (en banc), and Kolbe v. Hogan, F.d (th Cir. 0) (en banc). As a drafter and proponent of Proposition, the Law Center has a particularly important interest in participating in this constitutional challenge to part of the initiative. The Law Center s involvement with Proposition began in 0 when the Law Center partnered with California Lieutenant Governor Gavin Newsom to draft language for a statewide ballot initiative that would close certain loopholes and substantially strengthen California s firearm laws. The result was Proposition, a comprehensive package of gun safety reforms. Voters decisively passed Proposition (with % of the vote) in November 0, including its provision generally prohibiting private possession of LCMs the part of the law Plaintiffs currently are challenging. The Law Center therefore not only has significant expertise about firearm legislation broadly, but also has important knowledge and experience directly relevant to the legislation at the core of this case. III. ARGUMENT A district court has broad discretion to appoint amici curiae. Hoptowit v. Ray, F.d, 0 (th Cir. ), abrogated on other grounds by Sandin v. Conner, U.S. (). The classic role of amici curiae is assisting in a case of general public interest, supplementing the efforts of counsel, and drawing the court s attention to law that escaped consideration. Miller-Wohl Co., Inc. v. Commissioner of Labor and Industry, F.d 0, 0 (th Cir. ). District courts frequently welcome amicus briefs from nonparties concerning legal issues \00.

Case :-cv-00-ben-jlb Document 0- Filed 0/0/ PageID. Page of 0 0 () -00 that have potential ramifications beyond the parties directly involved or if the amicus has unique information or perspective that can help the court beyond the help that the lawyers for the parties are able to provide. Safari Club Intern. v. Harris, No. :-cv-0-geb-ac, 0 WL at * (E.D. Cal. Jan., 0), citing NGV Gaming, Ltd. v. Upstream Point Molate, LLC, F.Supp.d 0, 0 (N.D. Cal. 00). The touchstone is whether the amicus is helpful, and there is no requirement that amici must be totally disinterested. California v. U.S. Dept. of Labor, No. :-cv-00-kjm-dad, 0 WL 0 at * (E.D. Cal. Jan., 0), citing Hoptowit, F.d at 0. This Court therefore has authority to permit the Law Center to participate as amicus curiae. The Law Center brings unique information and perspective to the issues implicated in this constitutional challenge, and should be granted leave to submit a brief on those important issues. See Missouri v. Harris, No. :-cv-00-kjm- KJN, 0 WL at * (E.D. Cal. Jul., 0) ( An amicus brief should normally be allowed when, among other considerations, the amicus has unique information or perspective that can help the court beyond the help that the lawyers for the parties are able to provide. ) (internal citation omitted). The Law Center s amicus submission will offer, among other things, context for the California firearms law at issue; historical information about the use of LCMs and whether the use of these devices is protected by the Second Amendment; perspective on the public safety interests that California s LCM restrictions advance; and details about the specific regulatory loophole sought to be closed with the enactment of Proposition. A number of courts, including a federal district court, have relied on similar information provided in the Law Center s amicus briefs when deciding other cases involving firearms. See, e.g., Peruta, F.d at (citing the Law Center s amicus brief for examples of law-abiding weapons owners who place the public safety in jeopardy ); Mishaga v. Smith, F.Supp.d, (C.D. Ill. 0) (citing information in the Law Center s amicus brief as one of [s]everal lines of \00.

Case :-cv-00-ben-jlb Document 0- Filed 0/0/ PageID. Page of 0 0 () -00 reasoning driv[ing] [the Court s] conclusion ). In addition, the Court should grant leave for the Law Center to submit an amicus brief because this case implicates important public interests, including public safety interests, with ramifications beyond the parties directly involved. For example, Proposition is a ballot measure duly enacted by California voters to address serious public safety concerns, giving the voters a direct interest in the outcome of this case. Furthermore, the resolution of Plaintiffs Motion will involve the application of Second Amendment constitutional principles; this could have broader implications for other efforts, in California or elsewhere, to help reduce gun violence through the enactment of firearm safety legislation. See California v. U.S. Dept. of Labor, 0 WL 0 at * (leave to file amicus brief granted where case implicated constitutional issues and therefore had potential ramifications beyond the parties directly involved ). IV. CONCLUSION For the foregoing reasons, the Law Center respectfully requests that the Court grant leave for the Law Center to participate as amicus curiae and submit a brief in connection with Defendant s Opposition to Plaintiffs Motion for a Preliminary Injunction. Respectfully submitted, Dated: June, 0 FARELLA BRAUN + MARTEL LLP By: /s Anthony Schoenberg Anthony Schoenberg Email: tschoenberg@fbm.com Attorneys for Movant Law Center to Prevent Gun Violence \00.