Free Speech Coalition, Inc., et al. v. Ken Paxton, Attorney General of Texas
Whether the First Amendment protects online speech and content related to sexual expression against state regulatory restrictions
No question identified. : 2on November 15, 2024. The Petitioners ’reply brief is currently due to be filed on December 16, 2024. Oral argument in this case is set for January 15, 202 5. Petitioners now respectfully request that the Court grant an extension of time to fi le theirreply brief to December 23, 2024. Good cause exists to support the enlargement due to previously scheduled travel of counsel, other ongoing litigation matters (including deadlines in other matters in this Court, and oral ar guments in other courts) , and the holidays. Counsel for Respondent ha sindicated that the undersigned may inform the Court oftheir consent to the requested enlargement of time. If the requested enlargement is granted, Petitioners’ reply brief will still be filed more than three weeks ahead o fthe scheduled argument date. For the foregoing reasons, Petitioner srespectfully request that the time for filing their reply brief on the merits in this case to be extended to and including December 23, 2024 . Respectfully submitted, /s/Derek L. Shaffer DEREK L.SHAFFER Counsel of Record QUINN EMANUEL URQUHART &SULLIVAN ,LLP 1300 I St. NW, Ste. 900 Washington, DC 20005 (202) 538 -8000 derekshaffer@ quinnemanuel.com November 27, 2024