ILENA ROSENTHAL SUES FOR $100,000,000
ILENA ROSENTHAL, Plaintiff in Pro Per
1380 Garnet #444
San Diego, California 92109
(858) 270-0680
SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF SAN DIEGO
ILENA ROSENTHAL
in Pro Per Plaintiff,
v.
AMERICA-ON-LINE;
McGHAN CORPORATION,
INAMED CORPORATION;
PATRICK J. O'LEARY,
SUSAN SCHAEZLER,
ETC. INFORMATION SERVICES; and
DOES 1 to 20, inclusive
Defendants.
CASE NO. GIC739307
EX PARTE APPLICATION AND DECLARATION OF ILENA
ROSENTHAL REQUESTING CONTINUANCE OF HEARING
ON DEFENDANTS MOTION
TELEPHONIC
NO APPEARANCE REQUIRED
Date: May 31, 2000
Time: 4:00 p.m.
Dept.: 60
Judge: Honorable William C. Pate
Complaint Filed: Nov. 24, 1999
I, ILENA ROSENTHAL, declare as follows:
1. I am the plaintiff in the above-captioned action and
am currently representing myself in this action. Because of recent
developments beyond my control, I am now in the process of retaining
new counsel to protect my legal interests in this matter. I have
personal knowledge of the facts set forth below. If called upon to
testify,
I could and would competently testify to the facts set forth herein.
2. This
lawsuit was filed
as a result of a defamation
and libel campaign by Patrick
O'Leary and
others against me over a
span of several years and continues today. I believe Mr.
O'Leary was
originally acting on behalf of his former employer, Inamed / McGhan in
concert with several others in an attempt to smear my reputation and
destroy my credibility, and Discovery will so indicate this.
3. I head a large International Support Group for
those harmed by breast implants and other silicone products.
The Internet Newsgroup I created, alt.support.breast-implant
was to support these women, and was NOT a public debate forum.
4. As a member of the International Board of
Prostheses Manufacturers: McGhan, Mr.
O'Leary has
publicly spoken
on behalf of the silicone industry, most recently at the FDA
Saline Hearings in Washington, D.C. in March, 2000. He expressed
these same viewpoints on the internet, under the pseudonym of
"m...@aol.com."
This viewpoint, is unquestionably,
"pro-silicone," and "pro-manufacturer."
5. As Vice President, and later President of McGhan,
Ireland, Mr. O'Leary
was in direct violation of U.S. District Court,
MDL 926, The Honorable Judge Samuel C. Pointer's Court Order #8
prohibiting silicone manufacturers and their employees from contacting
plaintiffs in the on-going breast implant litigation and influencing
their cases. Although not a plaintiff myself, the Newsgroup I created,
and the email lists I maintain, reach thousands of plaintiffs. Mr.
O'Leary's
presence in this Support Group was aggressive, in violation
of the stated purpose of the group, and created disharmony and
dissension.
Many of his postings were caustic and critical of scientists, doctors
and other Support Leaders in this cause. Repeatedly asked, he denied
his employment as a silicone manufacturer until his identity was
finally uncovered in October, 1999. At that point in time, I retained
counsel to represent me, and my attorney, Steven B. Morris, filed suit
in this jurisdiction. Within days of being served with this
lawsuit,
several new aliases appeared on the internet, publicly posting case
documents then in Mr.
O'Leary's possession alone, accelerating the
defamation against me, while supporting Mr.
O'Leary's claims
that
this case is "frivolous," etc. This continues to this day.
6. On February 28, 2000, this Court ordered a change
of venue to Santa Barbara upon Mr.
O'Leary's Motion.
Soon thereafter,
my attorney, Steven B. Morris, advised me to seek counsel in that
jurisdiction.
7. I was in the process of doing so, and had advised
my attorney by telephone, email and fax, to not dismiss this case
under any circumstances.
8. On March 19, 2000, I received a letter by mail from
Mr. Morris informing me that on March 14, 2000, he had dismissed my
case without prejudice. No copy of the dismissal was included in the
envelope, although the letter indicated that there was.
9. In telephone conversations with him thereafter, he
assured me that I did not have to respond to any Motions, as the case
was dismissed.
10. On April 29, 2000, to my complete surprise,
I received a "Motion for Attorneys Fees and Costs" from Mr.
O'Leary's
attorneys.
11. In speaking with Mr. Morris, I discovered that
the dismissal had been filed in San Diego on March 14, 2000, but
because the file was en route to Santa Barbara, the dismissal had not
been entered.
12. Mr. Morris then re-filed the dismissal, and on May 5,
2000,
he confirmed with Diane Howard of Department 60, that all motions were
off calendar, and informed me that there was nothing more I needed to
do.
13. At 5pm on May 19, 2000, I received yet another
motion -- "Reply to Non-Opposition" with the date for me to respond
long passed, and the hearing on May 26, 2000 -- less than one week away
from date of service. This included a letter to Mr.
O'Leary's
attorneys,
that Mr. Morris was no longer representing me in this matter.
14. The motion by Mr.
O'Leary seeks to
take advantage of
the fact that I am currently representing myself while I seek new
counsel
in Santa Barbara, that my prior attorney dismissed this case without
my approval, and that I relied on my attorney's advice that I need do
nothing further because he had dismissed my complaint.
15. I respectfully request the court continue Mr.
O'Leary's
motion for at least 90 days or deny it without prejudice at this time so
I can retain and have my case evaluated by new counsel in Santa
Barbara. Mr. O'Leary
will suffer no prejudice if the Court grants me
this reasonable and necessary opportunity to retain new counsel to
protect my legal rights and respond to Mr.
O'Leary's SLAPP
motion.
l6. On May 30, 2000, I called Mr.
O'Leary's
attorney at
10:30 a.m. and advised her of this ex parte telephonic hearing on
May 31, 2000, at 4 p.m., in Department 60 of this court (888-527-7327)
and served her by fax at (619) 236-9669 at 2pm.
I declare under penalty of perjury under the laws of the
State of California that the foregoing is true and
correct and that declaration was executed this 30th day of May, 2000.
By:
Ilena Rosenthal