Professional Documents
Culture Documents
V. : AT WATERBURY
V. : AT WATERBURY
V. : AT WATERBURY
The defendants respectfully request that the Court stay all proceedings in the
On June 14, 2019, undersigned counsel appeared on The Alex Jones Show,
alongside the defendant in this case, Alex Jones. Mr. Jones became impassioned
about the recent revelations that child pornography was found amongst the metadata
that was disclosed to the plaintiffs in this case. Mr. Jones made direct reference to
plaintiffs’ counsel Attorney Christopher Mattei during this broadcast. As a result of that
broadcast the plaintiffs have alleged inequities against Mr. Jones in their - “Motion for
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plaintiffs allege inequities against undersigned counsel, citing a lack of “due diligence”
resulting in plaintiffs’ counsel and their data analytics firm in jeopardy of being charged
The failure of plaintiffs’ counsel to address their request for the email “metadata,”
which was made orally at a hearing before undersigned counsel filed their appearance,
until after months of resources had been expended in providing them the corresponding
messages in readable PDF format; coupled with expedited discovery; and near weekly
report backs to the Court resulted in the emails containing these illegal images being
inadvertently turned over to plaintiffs’ counsel. The plaintiffs had the resources to
contract with a sophisticated data analytics firm to review this indecipherable metadata.
Unfortunately, these tools and financial resources are not available to the defendants.
On June 16, 2019, Mr. Jones issued a public apology to Attorney Mattei on his
hook-child-porn-set-up/. Mr. Jones apologized for the statements he made the previous
days broadcast saying, “I’m not saying that the lawyers for the Sandy Hook families set
of interest in this case between the Jones defendants and undersigned counsel. Rule
of Professional Conduct 1.7 states that: “a lawyer shall not represent a client if the
that undersigned can continue to represent the defendants within the ethical duties
Undersigned counsel has already begun this process. However, undersigned counsel
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feels that these issues must be addressed before the above captioned cases proceed
Alex Jones;
Infowars, LLC;
Free Speech Systems, LLC;
Infowars Health, LLC; and,
Prison Planet, LLC
BY:/s/ Norman A. Pattis/s/
Norman A. Pattis, Their Attorney
PATTIS & SMITH, LLC
Juris No. 423934
383 Orange Street,
New Haven, Ct 06511
V: 203-393-3017,F: 203-393-9745
npattis@pattisandsmith.com
ORDER
GRANTED/DENIED.
BY THE COURT,
________________________
JUDGE/CLERK
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CERTIFICATION
This is to certify that a copy of the foregoing has been emailed and/or mailed, this 17th