Trump v. Philadelphia County Board of Elections Complaint
Trump v. Philadelphia County Board of Elections Complaint
Trump v. Philadelphia County Board of Elections Complaint
Respectfully submitted
/s/ Ronald L. Hicks, Jr.
Ronald L. Hicks, Jr. (PA #49520)
Carolyn B. McGee (PA #208815)
Six PPG Place, Third Floor
Pittsburgh, PA 15222
(412) 235-4500 (Telephone)
(412) 235-4510 (Fax)
[email protected]
[email protected]
and
Jerome M. Marcus
P.A. Bar No. 50708
P.O. Box 212
Merion Station, PA 19066
(610) 246 6584
[email protected]
13860526v1
Case 2:20-cv-05533-PD Document 1 Filed 11/05/20 Page 3 of 4
JS 44 (Rev. 10/20) CIVIL COVER SHEET
The 7S 44 civil cover sheet and the information contained herein neither replace nor supplement the filing and service of pleadings or other papers as required by law, except as
provided by local rules of court. This form, approved by the Judicial Conference of the United States in September 1974, is required for the use of the Clerk of Court for the
purpose of initiating the civil docket sheet. (.SEC/NS"1'RUCT/ONS ONNEX7'YAGEOFTHlSFOltM.)
LaiNTir r,s ll~:r~:N~AN~rs
Donald J. Trump for President, Inc. Philadelphia County Board of Elections
(b~ County of Residence of First Listed Plaintiff Washin4ton, ~C County of Residence of First Listed Defendant Philadelphia
(EXCGPT /NUS PLA/NT/FF CASESJ (!NUS. PLA/NT/FF CASES ONGYJ
NOTE: IN LAND CONDEMNATION CASES, USE THE LOCATION OF
THE TRACT OF LAND INVOLVED.
~C~ AttomeyS (Firm Name, Address, and Telephone Number) Attorneys (IfKnownJ
2 U.S. Government ~4 Diversity Citizen of Mother State ~2 ~ 2 Incorporated and Principal Place ~ 5 ~5
Defendant (lndicale Citizenship ofParties in Item ///) of Business In Another State
DESIGNATION FORM
(to be used by counsel or pro se plaintiff ~o indicate the category of the case for the purpose of assignment !o the appropriate calendar)
Civil cases are deemed related when Yes is answered to any of the following questions:
1. Is this case related to property included in an earlier numbered suit pending or within one year Yes ❑ No
previously terminated action in this court?
2. Does this case involve the same issue of fact or grow out of the same transaction as a prior suit Yes ❑ No
pending or within one year previously terminated action in this court?
3. Does this case involve the validity or infringement of a patent already in suitor any earlier Yes ❑ No
numbered case pending or within one year previously terminated action of this court?
4. Is this case a second or successive habeas corpus, social security appeal, or pro se civil rights Yes ❑ No
case filed by the same individual?
I certify that, to my knowledge, the within case ❑ is / Q ' not relate to any ca now riding or ithin one year previously terminated action in
this court except as noted above.
❑ 1. Indemnity Contract, Marine Contract, and All Other Contracts 1. Insurance Contract and Other Contracts
❑ 2. FELA 2. Airplane Personal Injury
3. Jones Act-Personal Injury ❑ 3. Assault, Defamation
4. Antitrust 4. Marine Personal Injury
5. Patent 5. Motor Vehicle Personal Injury
6. Labor-Management Relations 6. Other Personal Injury (Please specify):
❑✓ 7. Civil Rights 7. Products Liability
❑ 8. Habeas Corpus 8. Products Liability —Asbestos
9. Securities Acts) Cases 9. All other Diversity Cases
10. Social Security Review Cases (Please spec):
11. All other Federal Question Cases
(Please specify):
ARBITRATION CERTIFICATION
(The effect of this certification is to remove the case from eligibility for arbitration.)
❑ Pursuant to Local Civil Rule 53.2, § 3(c) (2), that to the best of my knowledge and belief, the damages recoverable in this civil action case
exceed the sum of $150,000.00 exclusive of interest and costs:
~Y
DATE 11 /05/2020 Sign here if applica 49520
Attorney-at-Law✓Pro Se Plaintiff Attorney I.D. # (if applicable)
NOTE: A trial de novo will be a trial by jury only if there has been compliance with F.R.C.P. 38.