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To: Jeffrey S. Mitchell who wrote (4532)5/31/2006 10:44:49 AM
From: yardslave  Read Replies (1) | Respond to of 12518
 
I noticed that also. They actually didn't believe that the PR was real. I have never seen so many people with their heads stuck in the sand.



To: Jeffrey S. Mitchell who wrote (4532)5/31/2006 7:31:24 PM
From: scion  Respond to of 12518
 
RULE 7.1 DISCLOSURE STATEMENT OF PROMOTIONAL CONTAINERS, INC.

Case 5:04-cv-00334-JBC Document 33 Filed 05/31/2006

UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF KENTUCKY
LEXINGTON DIVISION
PROMOTIONAL CONTAINERS, INC.
PLAINTIFF
v.
GENERAL TECHNOLOGIES, INC.
DEFENDANT

CIVIL ACTION NO. 04-334-JBC

RULE 7.1 DISCLOSURE STATEMENT OF PROMOTIONAL CONTAINERS, INC.

Plaintiff, Promotional Containers, Inc., by counsel, hereby states for its corporate disclosure pursuant to Rule 7.1 of the Federal Rules of Civil Procedure that Promotional Containers, Inc., has no parent corporation and no publicly held corporation owns more than 10% of its stock.

Respectfully submitted,
/s/ Leila G. O??Carra______________
Henry E. Kinser
Leila G. O??Carra
WYATT, TARRANT & COMBS, LLP
250 West Main Street, Suite 1600
Lexington, KY 40507-1746
859.233.2012
and
James D. Liles
KING & SCHICKLI, P.L.L.C.
247 North Broadway
Lexington, KY 40507
Counsel for Plaintiff

Date Filed # Docket Text

05/31/2006 33
FRCP 7.1 DISCLOSURE STATEMENT by Promotional Containers, Inc.. (O'Carra, Leila) (Entered: 05/31/2006)

ecf.kyed.uscourts.gov



To: Jeffrey S. Mitchell who wrote (4532)5/31/2006 7:43:13 PM
From: scion  Read Replies (2) | Respond to of 12518
 
RULE 7.1 DISCLOSURE STATEMENT OF PROMOTIONAL CONTAINERS, INC.

Case 5:04-cv-00336-JBC Document 62 Filed 05/31/2006 Page 1 of 2

UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF KENTUCKY
LEXINGTON DIVISION
PROMOTIONAL CONTAINERS, INC.

PLAINTIFF
v.
AZTEC CONCRETE ACCESSORIES, INC.
DEFENDANT

CIVIL ACTION NO. 04-336-JBC

RULE 7.1 DISCLOSURE STATEMENT OF PROMOTIONAL CONTAINERS, INC.

Plaintiff, Promotional Containers, Inc., by counsel, hereby states for its corporate disclosure pursuant to Rule 7.1 of the Federal Rules of Civil Procedure that Promotional Containers, Inc., has no parent corporation and no publicly held corporation owns more than 10% of its stock.

Respectfully submitted,
/s/ Leila G. O??Carra______________
Henry E. Kinser
Leila G. O??Carra
WYATT, TARRANT & COMBS, LLP
250 West Main Street, Suite 1600
Lexington, KY 40507-1746
859.233.2012
and
James D. Liles
KING & SCHICKLI, P.L.L.C.
247 North Broadway
Lexington, KY 40507
Counsel for Plaintiff

Date Filed Docket Text

05/31/2006 62
FRCP 7.1 DISCLOSURE STATEMENT by Promotional Containers, Inc.. (O'Carra, Leila) (Entered: 05/31/2006)

ecf.kyed.uscourts.gov



To: Jeffrey S. Mitchell who wrote (4532)5/31/2006 8:44:12 PM
From: scion  Read Replies (2) | Respond to of 12518
 
U.S. Patent No. 4,942,714, is jointly owned by Aztec Concrete Accessories, Inc. and Promotional Containers,...

Case 5:04-cv-00334-JBC Document 6-1 Filed 08/18/2004

PROMOTIONAL CONTAINERS, INC.

DEFENDANT'S MOTION TO DISMISS FOR FAILURE TO JOIN AN INDISPENSABLE PARTY UNDER RULE 12(B)(7)

GENERAL TECHNOLOGIES, INC. DEFENDANT

Defendant General Technologies, Inc. moves this Court, pursuant to Fed. R. Civ. P. 12(b)(7), for an Order dismissing the Complaint of Plaintiff Promotional Containers, Inc. for
failure to join an indispensable party under Rule 19.

As is more fully set forth in the accompanying Memorandum, the patent in suit, U.S. Patent No. 4,942,714, is jointly owned by Aztec Concrete Accessories, Inc. and Promotional Containers, Inc. Aztec Concrete Accessories, Inc. is an indispensable party to this action who should have been joined as Plaintiff, but was not.

Respectfully submitted,

Date 8-16-04
Harrison & Egbert
412 Main Street, 7" Floor
Houston, Texas 77002
Phone: (713) 224-8080
Fax: (713) 223-4873
Attorney Pro Hac Vice
For Defendant General Technologies,

Of Counsel:
Whitney Wallingford
Brian Ritchie
Wallingford Law, PSC
3 141 Beaumont Centre Circle, Suite 302
Lexington, ICY 405 13
(859) 219-0066