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Filing # 68138917 E-Filed 02/19/2018 01:46:02 PM
IN THE CIRCUIT COURT OF THE NINTH
JUDICIAL CIRCUIT IN AND FOR ORANGE
COUNTY, FLORIDA
CASE NO. 2017-CA-004308-0
UP FTELDGATE US INVESTMENTS - EAST
COLONIAL, LLC,
Plaintiff,
vs.
DICK'S SPORTING GOODS, INC., a
Delaware corporation,
Defendant. /
GREGORY D. CALL, ESQUIRE'S VERIFIED MOTION FOR ADMISSION TO
APPEAR PRO HAC VICE PURSUANT TO FLORIDA RULE OF JUDICIAL
ADMINISTRATION 2.510
COMES NOW, Gregory D. Call, Esquire ("Movant"), pursuant to Florida Rule of
Judicial Administration 2.5 10, and respectfully represents the following:
1. Movant resides in San Francisco, California. Movant is not a resident of the State
of Florida.
2. Movant is an attorney and a member of the law firm of Crowell & Moring LLP
with an office at 3 Embarcadero Center, 26th1 Floor, San Francisco, California 94111 (telephone
number: 415-986-2800).
3. Movant was retained personally or as a member of the above named law firm in
or about June 2017 to provide legal representation to Defendant, DICK'S SPORTING GOODS,
INC., in connection with the above-styled matter now pending before the above-named court of
the State of Florida.
4. Movant is an active member in good standing and currently eligible to practice
law in the following jurisdictions:
State License # Status Admission Date
California Supreme Court 120483 Active 12/1985
United States District Court, Active 12/1986
Southern District of California
United States District Court, Central Active 12/1986
District of California
United States District Court, Active 12/1986
Northern District of California
United States District Court, Eastern Active 08/1998
District of California
United States Court of Appeal for Active 11/1989
the Ninth Circuit
United States District Court, District Active 07/2002
of Colorado
United States Court of Federal Active 11/2005
Claims
United States Court of Appeals for Active 02/2007
the Federal Circuit
5. There have been no disciplinary, suspension, disbarment, or contempt proceedings
initiated against Movant in the preceding five (5) years.
6. Movant, either by resignation, withdrawal, or otherwise, never has terminated or
attempted to terminate Movant's office as an attorney in order to avoid administrative,
disciplinary, disbarment, or suspension proceedings.
7. Movant is not an inactive member of The Florida Bar.
8. Movant is not now a member of The Florida Bar.
9. Movant is not a suspended member of The Florida Bar.
10. Movant is not a disbarred member of The Florida Bar nor has Movant received a
disciplinary resignation from The Florida Bar.
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11. Movant has not previously been disciplined or held in contempt by reason of
misconduct committed while engaged in representation pursuant to Florida Rule of Judicial
Administration 2.5 10.
12. Movant has filed motion(s) to appear as counsel in Florida state courts during the
past five years in the following matters: NONE.
13. Counsel of record associated with Movant is this matter is James E. Walson,
Esquire, and Ronald D. Edwards, Jr., Esquire, shareholders with the law firm of Lowndes,
Drosdick, Doster, Kantor & Reed, P.A., who are active members in good standing of The Florida
Bar and have an office at 215 North Eola Drive, Orlando, Florida 32801 (telephone number: 407-
843-4600).
14. Movant agrees to comply with the provisions of Florida Rule of Judicial
Administration 2.5 10 and Rule 1-3.10 of the Rules Regulating The Florida Bar and certifies that
this verified motion complies with those rules.
15. Movant agrees to comply with the provisions of the Florida Rules of Professional
Conduct and consents to the jurisdiction of the courts and the Bar of the State of Florida.
WHEREFORE, Movant respectfully requests permission to appear in this court for this
cause only.
DATED this 15th day of February, 2018.
Gregory D. Call((Mont)
Crowd! & Moriitg-
3 Embarcadero Center
26t1 Floor
San Francisco, California 94111
(415) 986-2800
gcall@crowell.com
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STATE OF CALIFORNIA
COUNTY OF SAN FRANCISCO
I, Gregory D. Call, do hereby swear or affirm under penalty of perjury that I am the
Movant in the above-styled matter; that I have read the foregoing Motion and know the contents
thereof, and the contents are true of my own knowledge and belief.
Gregory D. Call
I hereby consent to be associated as local counsel of record in this cause pursuant to
Florida Rule of Judicial Administration 2.5 10.
1i
DATED this - day of February, 2018.
James E. Walson
Florida Bar No. 0787981
Ronald D. Edwards, Jr.
Florida Bar No. 0053233
LOWNDES, DROSDICK, DOSTER, KANTOR
& REED, P.A.
215 North Eola Drive
Post Office Box 2809
Orlando, Florida 32802-2809
Phone: (407) 843-4600
Facsimile: (407) 843-4444
james.walson@lowndes-law.com
ronald. edwards@lowndes-law.corn
litcontrol@lowndes-law.com
susie.whitaker@lowndes-law.com
tracy.kennison@lowndes-law.com
Attorneys for Defendant
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CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing motion was furnished
by U.S. mail to PHV Admissions, The Florida Bar, 651 East Jefferson Street, Tallahassee,
Florida 32399-2333 accompanied by payment of the $250.00 filing fee made payable to The
Florida Bar and via ePortal to NICOLETTE VILMOS, ESQUIRE, 390 North Orange Avenue,
Suite 1400, Orlando, Florida 32802 this I1'day of February, 2018.
V re j (
Ronald D. Edwards, Jr.
SFACTIVE-904777734.2