"ZACR seeks to intervene pursuant to Fed. R. Civ. P. 24(a), or alternatively, under Fed. R. Civ. P. 24(b), as a defendant to the Ninth and Tenth causes of action to enforce its right to .Africa. Intervention is proper because ZACR has an interest in the Registry Agreement which may be impaired or impeded by the disposition of this action and ZACR’s interest is not adequately represented by the existing parties." --ZACR's Memorandum of Points and Authorities (pdf)Dismissed defendant, ZA Central Registry, which filed an interlocutory appeal, has now filed its opening brief (embed below), and has also filed a motion to intervene as a party:
- ZACR's Notice of Motion and Motion to Intervene [PDF, 232 KB] scheduled for September 19, 2016 hearing;
- Memorandum of Points and Authorities [PDF, 166 KB] (embed below)
- Declaration of David W. Kesselman [PDF, 42 KB] 1 August 2016
- ZACR's Opening Appellate Brief [PDF, 275 KB] 22 July 2016 (embed below)
See also: ICANN and Dot AFRICA: Dismissed Party ZACR Files Notice of Appeal | DomainMondo.com and the history and background of this case at .africa | Wikipedia.org.
ZACR's Opening Appellate Brief (embed below):
Memorandum of Points and Authorities in support of ZACR's motion to intervene:
feedback & comments via twitter @DomainMondo
Follow @DomainMondo
DISCLAIMER