Case: Matthew Weinberg v. National Students for Justice in Palestine

2:25-cv-03714 | U.S. District Court for the Central District of California

Filed Date: April 25, 2025

Case Ongoing

Clearinghouse coding complete

Case Summary

This is a case where individuals sued the National Students for Justice in Palestine and other pro-Palestine organizations for alleged conspiracy to violate plaintiffs’ civil rights.  Plaintiffs are all Jewish individuals consisting of a doctor at UCLA who taught at the university’s medical school for over 22 years, a second-year law student at UCLA, the Rabbi of Chabad House at UCLA, and an undergraduate student at UCLA.  Defendants are National Students for Justice in Palestine (“SJP”), a stu…


This is a case where individuals sued the National Students for Justice in Palestine and other pro-Palestine organizations for alleged conspiracy to violate plaintiffs’ civil rights. 

Plaintiffs are all Jewish individuals consisting of a doctor at UCLA who taught at the university’s medical school for over 22 years, a second-year law student at UCLA, the Rabbi of Chabad House at UCLA, and an undergraduate student at UCLA. 

Defendants are National Students for Justice in Palestine (“SJP”), a student at UCLA in 2024 who served as President of the UCLA Chapter, and other pro-Palestine organizations.

According to the plaintiffs, the background of this case stems from events on October 7, 2023 when Hamas initiated a large-scale attack on Israeli territory. The plaintiffs describe this attack as plunging America into an antisemitism crisis. After the attack, college campuses around the country like UCLA participated in pro-palestine movements such as protesting on campus. Plaintiffs alleged that the defendants coordinated a “campaign” of racial exclusion to Jewish students and to prevent Jewish communities on college campuses from enjoying equal access to public spaces. According to the plaintiffs, the campaign included an encampment between April 25 and May 2, 2024, which was organized by antisemitic radicals associated with SJP and other Pro-Palestine organizations.

On April 25, 2025, plaintiffs filed this lawsuit in the Central District of California. The plaintiffs sued defendants under 1) 42 U.S.C. §1985(3) Conspiracy to Interfere with Civil Rights and 2) 42 U.S.C. §1986 Failure to Prevent Conspiracy Against Rights. Represented by private counsel, the individual plaintiffs alleged that the defendants violated their civil rights. Specifically, plaintiffs alleged that under 42 U.S.C. §1985(3), the conspiracy of SJP and other defendants was driven by racial and ethnic animus against Jews. Moreover, plaintiffs alleged that under §1985(3) Defendants knew of the encampment and the antisemitic conspiracy, animating it because they were high-ranked officials in organizations who were parties to the conspiracy. 

Plaintiffs sought a declaratory judgment, compensatory damages, punitive damages, interest, attorney’s fees and costs, and other relief as the Court deems necessary and just. The case was assigned to District Judge Percy Anderson and Magistrate Judge Douglas F. McCormick. 

A related case was filed on May 14, 2025 - Frankel v. Regents of The University of California docket no. 2:24-cv-04702. Frankel was linked to this case. 

On April 30, 2025 this case was reassigned to District Judge Wesley L Hsu. 

On September 26, 2025, an amended complaint was filed five months after the original April 2025 filing. The amended complaint includes detailed accounts of post-October 7 antisemitic incidents nationwide. Plaintiffs also narrowed their legal theories and removed all three California state law claims and focused on federal civil rights violations. The amended complaint also depicts the encampment as an intentionally violent campaign against Jewish students instead of a discriminatory exclusion.

On October 27, 2025, defendant AJP Educational Foundation filed a motion to dismiss as a matter of law. Defendant AJP Educational Foundation argued that advocating for a political position does not equate to a conspiracy against rights under any law. Specifically, the motion claims that plaintiffs failed to state a claim against AJP under §1985’s Deprivation Clause because they do not plausibly plead any of the first three elements required by the statute which are 1) a conspiracy, 2) to deprive a person or class of equal protection of the laws or equal privileges and immunities, and 3) an act in furtherance of the conspiracy. Defendant AJP also argues that plaintiffs fail to establish at least two of the three factors to state a claim under §1985’s Hindrance Clause.

On October 27, 2025, four other defendants 1) American Muslims for Palestine’s (AMP) Executive Director, 2) Chairman of AMP’s Board of Directors, 3) Defendant Peoples City Council and 4) WesPac foundation, separately filed Motions to Dismiss. 

On October 29, 2025, Defendant National Students for Justice in Palestine filed a Motion to Dismiss. 

On December 9, 2025, pursuant to FRCP 41(a)(1)(A)(i),  a notice of voluntary dismissal without prejudice was filed by plaintiffs including an undergraduate student at UCLA, a doctor at UCLA who taught at the university’s medical school for over 22 years, the Rabbi of Chabad House at UCLA, and a student at UCLA who was the President of the UCLA chapter.

As of January 20, 2026, an order was filed regarding motions to dismiss, motions to stay discovery, and an application to seal. The Court deemed the motions to stay discovery pending resolution of their motions to dismiss was appropriate for a decision without oral argument or further briefing. 

On January 20, 2026, an order regarding defendants’ motions to dismiss was filed. NSJP and PCC’s motions to dismiss were denied. WESPAC, AJP, AJP’s Chairman of AJP’s Board of Directors and AJP’s Executive Director motions’ to dismiss were granted. The motions to stay discovery were denied as moot. The Court addressed NSP and PCC’s arguments regarding plaintiffs’ Article III standing and concluded that the plaintiffs alleged sufficient facts to survive the standing challenges. The Court next addressed the arguments attacking plaintiffs’ deprivation clause claim and concluded that plaintiffs adequately pleaded a deprivation clause claim under §1985(3) against NSJP and PCC. The Court also addressed NSJP and PCC’s arguments that plaintiffs have not adequately pleaded that they acted with a purpose of hindering law enforcement. The Court concluded that plaintiffs’ claimed injuries are plausibly tied to PCC and NSJP’s efforts to hinder law enforcement thus concluding that plaintiffs adequately stated a hindrance clause claim against NSJP and PCC.  The Court also addressed PCC’s argument that the plaintiffs claim failed as a matter of law because it sought to punish PCC for protected First Amendment activities. The Court rejected this argument because plaintiffs did not seek to hold PCC liable for protected speech or protest activities directly, but instead alleged that PCC conspired to deprive plaintiffs of their Thirteenth Amendment rights to be free from racial violence and race-based exclusion from public accommodations. The Court also addressed AJP’s argument that there are no factual allegations raising an inference that AMP was involved in a conspiracy claim and concluded that plaintiffs have not adequately stated a §1985(3) claim against AJP, thus granting AJP’s motion. The Court addressed AJP’s Chairman of AJP’s Board of Directors and AJP’s Executive Director arguments’ that plaintiffs failed to allege facts to support a civil rights conspiracy in violation of §1986 and granted their motions. Specifically, the Court found that there were no allegations that the Chairman and Executive Director had the ability to control NSJP or PCC’s actions. The Court also addressed WESPAC’s argument that the Court cannot exercise personal jurisdiction over it and granted this motion because plaintiffs did not carry their burden to show why jurisdictional discovery was appropriate. 

On February 6, 2026, a notice of reassignment of the case was filed due to the unavailability of a judicial officer. The case has now been assigned to Magistrate Judge Anna Y. Park. 

The case is ongoing. 

Summary Authors

Ana Lopez (2/19/2026)

Related Cases

Frankel v. Regents of The University of California, Central District of California (2024)

United States v. Regents of The University of California, Central District of California (2026)

People

For PACER's information on parties and their attorneys, see: https://www.courtlistener.com/docket/69947101/parties/matthew-weinberg-v-national-students-for-justice-in-palestine/


Judge(s)
Attorney for Plaintiff

Berry, Kyle (California)

Brown, William J. (California)

Attorney for Defendant

Brown, Rebecca (California)

Colangelo-Bryan, Joshua (California)

Elhosary, Samira S. (California)

show all people

Documents in the Clearinghouse

Document
1

2:25-cv-03714

Complaint for Damages and Jury Trial Demand

April 25, 2025

April 25, 2025

Complaint
113

2:25-cv-03714

Order Re: Motions to Dismiss, and Application to Seal (ECF Nos. 62, 64, 66, 69, 71, 74, 104–06, 110)

Weinberg v. National Students for Justice in Palestine

Jan. 20, 2026

Jan. 20, 2026

Order/Opinion

2026 WL 184302

Docket

See docket on RECAP: https://www.courtlistener.com/docket/69947101/matthew-weinberg-v-national-students-for-justice-in-palestine/

Last updated March 20, 2026, 5:43 a.m.

ECF Number Description Date Link Date / Link
1

COMPLAINT Receipt No: ACACDC-39587541 - Fee: $405, filed by Plaintiffs ELI TSIVES, NIR HOFTMAN, DOVID GUREVICH, MATTHEW WEINBERG. (Attorney William J. Brown, Jr added to party DOVID GUREVICH(pty:pla), Attorney William J. Brown, Jr added to party NIR HOFTMAN(pty:pla), Attorney William J. Brown, Jr added to party ELI TSIVES(pty:pla), Attorney William J. Brown, Jr added to party MATTHEW WEINBERG(pty:pla))(Brown, William) (Entered: 04/25/2025)

April 25, 2025

April 25, 2025

Clearinghouse
2

CIVIL COVER SHEET filed by Plaintiffs DOVID GUREVICH, NIR HOFTMAN, ELI TSIVES, MATTHEW WEINBERG. (Brown, William) (Entered: 04/25/2025)

April 25, 2025

April 25, 2025

3

NOTICE of Related Case(s) filed by Plaintiffs DOVID GUREVICH, NIR HOFTMAN, ELI TSIVES, MATTHEW WEINBERG. Related Case(s): 2:24-cv-04702-MCS-PD (Brown, William) (Entered: 04/25/2025)

April 25, 2025

April 25, 2025

RECAP
4

Request for Clerk to Issue Summons on Complaint (Attorney Civil Case Opening), 1 filed by Plaintiffs DOVID GUREVICH, NIR HOFTMAN, ELI TSIVES, MATTHEW WEINBERG. (Brown, William) (Entered: 04/25/2025)

April 25, 2025

April 25, 2025

5

CERTIFICATE of Interested Parties filed by Plaintiffs All Plaintiffs, (Brown, William) (Entered: 04/25/2025)

April 25, 2025

April 25, 2025

6

Corrected CERTIFICATE of Interested Parties filed by Plaintiffs All Plaintiffs, (Brown, William) (Entered: 04/25/2025)

April 25, 2025

April 25, 2025

7

NOTICE OF ASSIGNMENT to District Judge Percy Anderson and Magistrate Judge Douglas F. McCormick. (ghap) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

RECAP
8

NOTICE TO PARTIES OF COURT-DIRECTED ADR PROGRAM filed. (ghap) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

9

Notice to Counsel Re Consent to Proceed Before a United States Magistrate Judge. (ghap) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

10

NOTICE OF PRO HAC VICE APPLICATION DUE for Non-Resident Attorney Thomas R McCarthy on behalf of Plaintiffs. A document recently filed in this case lists you as an out-of-state attorney of record. However, the Court has not been able to locate any record that you are admitted to the Bar of this Court, and you have not filed an application to appear Pro Hac Vice in this case. Accordingly, within 5 business days of the date of this notice, you must either (1) have your local counsel file an application to appear Pro Hac Vice (Form G-64) and pay the applicable fee, or (2) complete the next section of this form and return it to the court at cacd_attyadm@cacd.uscourts.gov. You have been removed as counsel of record from the docket in this case, and you will not be added back to the docket until your Pro Hac Vice status has been resolved. (ghap) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

11

NOTICE OF PRO HAC VICE APPLICATION DUE for Non-Resident Attorney Zachary P Grouey on behalf of Plaintiffs. A document recently filed in this case lists you as an out-of-state attorney of record. However, the Court has not been able to locate any record that you are admitted to the Bar of this Court, and you have not filed an application to appear Pro Hac Vice in this case. Accordingly, within 5 business days of the date of this notice, you must either (1) have your local counsel file an application to appear Pro Hac Vice (Form G-64) and pay the applicable fee, or (2) complete the next section of this form and return it to the court at cacd_attyadm@cacd.uscourts.gov. You have been removed as counsel of record from the docket in this case, and you will not be added back to the docket until your Pro Hac Vice status has been resolved. (ghap) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

12

NOTICE OF PRO HAC VICE APPLICATION DUE for Non-Resident Attorney Julius Kairey on behalf of Plaintiffs. A document recently filed in this case lists you as an out-of-state attorney of record. However, the Court has not been able to locate any record that you are admitted to the Bar of this Court, and you have not filed an application to appear Pro Hac Vice in this case. Accordingly, within 5 business days of the date of this notice, you must either (1) have your local counsel file an application to appear Pro Hac Vice (Form G-64) and pay the applicable fee, or (2) complete the next section of this form and return it to the court at cacd_attyadm@cacd.uscourts.gov. You have been removed as counsel of record from the docket in this case, and you will not be added back to the docket until your Pro Hac Vice status has been resolved. (ghap) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

13

NOTICE OF PRO HAC VICE APPLICATION DUE for Non-Resident Attorney Richard A Rosen on behalf of Plaintiffs. A document recently filed in this case lists you as an out-of-state attorney of record. However, the Court has not been able to locate any record that you are admitted to the Bar of this Court, and you have not filed an application to appear Pro Hac Vice in this case. Accordingly, within 5 business days of the date of this notice, you must either (1) have your local counsel file an application to appear Pro Hac Vice (Form G-64) and pay the applicable fee, or (2) complete the next section of this form and return it to the court at cacd_attyadm@cacd.uscourts.gov. You have been removed as counsel of record from the docket in this case, and you will not be added back to the docket until your Pro Hac Vice status has been resolved. (ghap) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

14

NOTICE OF PRO HAC VICE APPLICATION DUE for Non-Resident Attorney Omer Wiczyk on behalf of Plaintiffs. A document recently filed in this case lists you as an out-of-state attorney of record. However, the Court has not been able to locate any record that you are admitted to the Bar of this Court, and you have not filed an application to appear Pro Hac Vice in this case. Accordingly, within 5 business days of the date of this notice, you must either (1) have your local counsel file an application to appear Pro Hac Vice (Form G-64) and pay the applicable fee, or (2) complete the next section of this form and return it to the court at cacd_attyadm@cacd.uscourts.gov. You have been removed as counsel of record from the docket in this case, and you will not be added back to the docket until your Pro Hac Vice status has been resolved. (ghap) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

15

APPLICATION of Non-Resident Attorney Thomas R. McCarthy to Appear Pro Hac Vice on behalf of Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg (Pro Hac Vice Fee - $500 Fee Paid, Receipt No. ACACDC-39600541) filed by plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. (Attachments: # 1 Proposed Order) (Brown, William) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

16

APPLICATION of Non-Resident Attorney Zachary P. Grouev to Appear Pro Hac Vice on behalf of Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg (Pro Hac Vice Fee - $500 Fee Paid, Receipt No. ACACDC-39600713) filed by plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. (Attachments: # 1 Proposed Order) (Brown, William) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

17

APPLICATION of Non-Resident Attorney Julius I. Kairey to Appear Pro Hac Vice on behalf of Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg (Pro Hac Vice Fee - $500 Fee Paid, Receipt No. ACACDC-39600838) filed by plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. (Attachments: # 1 Proposed Order) (Brown, William) (Entered: 04/29/2025)

April 29, 2025

April 29, 2025

18

ORDER TO REASSIGN CASE due to self-recusal pursuant to this Court's General Order in the Matter of Assignment of Cases and Duties to the District Judges by Judge Percy Anderson. Case transferred from Judge Percy Anderson to the calendar of Judge Wesley L. Hsu for all further proceedings. Case number now reads as 2:25-cv-03714 WLH (DFMx). (lh) (Entered: 04/30/2025)

April 30, 2025

April 30, 2025

RECAP
19

APPLICATION of Non-Resident Attorney Omer Wiczyk to Appear Pro Hac Vice on behalf of Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg (Pro Hac Vice Fee - $500 Fee Paid, Receipt No. ACACDC-39621132) filed by plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. (Attachments: # 1 Proposed Order) (Brown, William) (Entered: 05/01/2025)

May 1, 2025

May 1, 2025

20

ORDER by Judge Wesley L. Hsu: granting 15 Non-Resident Attorney Thomas R. McCarthy APPLICATION to Appear Pro Hac Vice on behalf of plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg, designating William J. Brown Jr. as local counsel. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY (ak) (Entered: 05/05/2025)

May 5, 2025

May 5, 2025

21

ORDER by Judge Wesley L. Hsu: granting 16 Non-Resident Attorney Zachary P. Grouev APPLICATION to Appear Pro Hac Vice on behalf of plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg, designating William J. Brown Jr. as local counsel. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY (ak) (Entered: 05/05/2025)

May 5, 2025

May 5, 2025

22

ORDER by Judge Wesley L. Hsu: granting 17 Non-Resident Attorney Julius I. Kairey APPLICATION to Appear Pro Hac Vice on behalf of plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg, designating William J. Brown Jr. as local counsel. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY (ak) (Entered: 05/05/2025)

May 5, 2025

May 5, 2025

23

APPLICATION of Non-Resident Attorney Richard A. Rosen to Appear Pro Hac Vice on behalf of Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg (Pro Hac Vice Fee - $500 Fee Paid, Receipt No. ACACDC-39641450) filed by plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. (Attachments: # 1 Proposed Order) (Brown, William) (Entered: 05/05/2025)

May 5, 2025

May 5, 2025

24

ORDER by Judge Wesley L. Hsu: granting 19 Non-Resident Attorney Omer Wiczyk APPLICATION to Appear Pro Hac Vice on behalf of plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg, designating William J. Brown Jr. as local counsel. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY (ak) (Entered: 05/05/2025)

May 5, 2025

May 5, 2025

Appear Pro Hac Vice

May 5, 2025

May 5, 2025

25

ORDER by Judge Wesley L. Hsu: granting 23 Non-Resident Attorney Richard A. Rosen APPLICATION to Appear Pro Hac Vice on behalf of plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg, designating William J. Brown Jr. as local counsel. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY (ak) (Entered: 05/07/2025)

May 7, 2025

May 7, 2025

Appear Pro Hac Vice

May 7, 2025

May 7, 2025

26

21 DAY Summons Issued re Complaint (Attorney Civil Case Opening), 1 as to Defendants AJP Educational Foundation, Inc., Osama Aburshaid, Hatem Al-Bazian, Faculty for Justice in Palestine Network, John Doe No. 1, National Students for Justice in Palestine, Peoples City Council, UC Divest Coalition, WesPac Foundation. (ghap) (Entered: 05/09/2025)

May 9, 2025

May 9, 2025

27

ORDER RE TRANSFER PURSUANT to this Court's General Order in the Matter of Assignment of Cases and Duties to the District Judges. Related Case- filed. Related Case No: 2:24-cv-04702 MCS (PDx). Case transferred from Judge Wesley L. Hsu and Magistrate Judge Douglas F. McCormick to Judge Mark C. Scarsi and Magistrate Judge Patricia Donahue for all further proceedings. The case number will now reflect the initials of the transferee Judge 2:25-cv-03714 MCS (PDx). Signed by Judge Mark C. Scarsi (lh) (Entered: 05/14/2025)

May 14, 2025

May 14, 2025

28

INITIAL STANDING ORDER FOR CIVIL CASES ASSIGNED TO JUDGE MARK C. SCARSI upon filing of the complaint by Judge Mark C. Scarsi. (smo) (Entered: 05/15/2025)

May 15, 2025

May 15, 2025

29

NOTICE OF CLERICAL ERROR:Text Only Entry. Due to a clerical error, the case was assigned to Magistrate Judge Patricia Donahue. The case is returned for random reassignment to Magistrate Judge Jacqueline Chooljian for all further proceedings. The case will now reflect the initials of the transferee Judge 2:25-cv-03714-WLH-JCx.THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY. (rolm) (Entered: 05/15/2025)

May 15, 2025

May 15, 2025

Clerical Error (G-11)

May 15, 2025

May 15, 2025

31

Mail Returned addressed to Julius Kairey re Notice of Assignment to United States Judges(CV-18) - optional html form 7 (lc) (Entered: 06/30/2025)

June 11, 2025

June 11, 2025

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30

PROOF OF SERVICE Executed by Plaintiff Eli Tsives, Nir Hoftman, Dovid Gurevich, Matthew Weinberg, upon Defendant Faculty for Justice in Palestine Network served on 6/16/2025, answer due 7/7/2025. Service of the Summons and Complaint were executed upon Andrew Ross, Secretary in compliance with California Code of Civil Procedure by method of service not specified (Brown, William) (Entered: 06/26/2025)

June 26, 2025

June 26, 2025

RECAP
32

PROOF OF SERVICE Executed by Plaintiff Eli Tsives, Nir Hoftman, Dovid Gurevich, Matthew Weinberg, upon Defendant Peoples City Council served on 6/23/2025, answer due 7/14/2025. Service of the Summons and Complaint were executed upon Ricci M. Sergienko, Officer in compliance with Federal Rules of Civil Procedure by substituted service at business address and by also mailing a copy (Brown, William) (Entered: 06/30/2025)

June 30, 2025

June 30, 2025

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33

Notice of Appearance or Withdrawal of Counsel: for attorney Rebecca Brown counsel for Defendant Peoples City Council. Adding Rebecca Brown as counsel of record for Defendant People's City Council for the reason indicated in the G-123 Notice. Filed by Defendant People's City Council. (Attorney Rebecca Brown added to party Peoples City Council(pty:dft))(Brown, Rebecca) (Entered: 07/02/2025)

July 2, 2025

July 2, 2025

34

NOTICE of Appearance filed by attorney Dan Stormer on behalf of Defendant Peoples City Council (Attorney Dan Stormer added to party Peoples City Council(pty:dft))(Stormer, Dan) (Entered: 07/07/2025)

July 7, 2025

July 7, 2025

35

STIPULATION Extending Time to Answer the complaint as to Peoples City Council answer now due 8/13/2025, re Complaint (Attorney Civil Case Opening), 1 filed by Plaintiffs Eli Tsives; Nir Hoftman; Dovid Gurevich; Matthew Weinberg.(Brown, William) (Entered: 07/08/2025)

July 8, 2025

July 8, 2025

36

WAIVER OF SERVICE Returned Executed filed by plaintiffs Eli Tsives, Matthew Weinberg. upon AJP Educational Foundation, Inc. waiver sent by Plaintiff on 6/3/2025, answer due 8/4/2025. Waiver of Service signed by Christina A. Jump. (Brown, William) (Entered: 07/11/2025)

July 11, 2025

July 11, 2025

37

WAIVER OF SERVICE Returned Executed filed by plaintiffs Eli Tsives, Nir Hoftman, Dovid Gurevich, Matthew Weinberg. upon Hatem Al-Bazian waiver sent by Plaintiff on 6/3/2025, answer due 8/4/2025. Waiver of Service signed by Christina A. Jump. (Brown, William) (Entered: 07/11/2025)

July 11, 2025

July 11, 2025

RECAP
38

STIPULATION Extending Time to Answer the complaint as to AJP Educational Foundation, Inc. answer now due 8/28/2025; Osama Aburshaid answer now due 8/28/2025; Hatem Al-Bazian answer now due 8/28/2025, re Complaint (Attorney Civil Case Opening), 1 filed by plaintiffs Eli Tsives; Nir Hoftman; Dovid Gurevich; Matthew Weinberg.(Brown, William) (Entered: 07/11/2025)

July 11, 2025

July 11, 2025

RECAP
39

WAIVER OF SERVICE Returned Executed filed by plaintiffs Eli Tsives, Nir Hoftman, Dovid Gurevich, Matthew Weinberg. upon WesPac Foundation waiver sent by Plaintiff on 6/3/2025, answer due 8/4/2025. Waiver of Service signed by Ramsey Judah. (Brown, William) (Entered: 07/15/2025)

July 15, 2025

July 15, 2025

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40

STIPULATION Extending Time to Answer the complaint as to WesPac Foundation answer now due 8/28/2025, re Complaint (Attorney Civil Case Opening), 1 filed by plaintiffs Eli Tsives; Nir Hoftman; Dovid Gurevich; Matthew Weinberg.(Brown, William) (Entered: 07/15/2025)

July 15, 2025

July 15, 2025

RECAP
41

Notice of Appearance or Withdrawal of Counsel: for attorney Ramsey Judah counsel for Defendant WesPac Foundation. Adding Ramsey Judah as counsel of record for WESPAC Foundation for the reason indicated in the G-123 Notice. Filed by Defendant WESPAC Foundation. (Attorney Ramsey Judah added to party WesPac Foundation(pty:dft))(Judah, Ramsey) (Entered: 07/18/2025)

July 18, 2025

July 18, 2025

42

WAIVER OF SERVICE Returned Executed filed by plaintiffs Eli Tsives, Nir Hoftman, Dovid Gurevich, Matthew Weinberg. upon Osama Aburshaid waiver sent by Plaintiff on 6/3/2025, answer due 8/28/2025. Waiver of Service signed by Christina A. Jump. (Brown, William) (Entered: 07/23/2025)

July 23, 2025

July 23, 2025

43

NOTICE OF MOTION AND MOTION for Service by Publication and to Extend the Time to Serve Defendants National Students for Justice in Palestine and Doe #1 filed by Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. Motion set for hearing on 8/25/2025 at 09:00 AM before Judge Mark C. Scarsi. (Attachments: # 1 Memorandum in Support, # 2 Declaration of Zachary P. Grouev, # 3 Declaration of Nir N. Hoftman, # 4 Declaration of Matthew Weinberg, # 5 Proposed Order) (McCarthy, Thomas) (Entered: 07/23/2025)

1 Memorandum in Support

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2 Declaration of Zachary P. Grouev

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3 Declaration of Nir N. Hoftman

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4 Declaration of Matthew Weinberg

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5 Proposed Order

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July 23, 2025

July 23, 2025

44

SPECIAL APPEARANCE BY NATIONAL STUDENTS FOR JUSTICE IN PALESTINE IN OPPOSITION TO PLAINTIFFS' MOTION FOR SERVICE BY PUBLICATION AND FOR EXTENSION OF TIME FOR SERVICE; DECLARATION OF MARK KLEIMAN AND PROPOSED ORDER OPPOSITION re: NOTICE OF MOTION AND MOTION for Service by Publication and to Extend the Time to Serve Defendants National Students for Justice in Palestine and Doe #1 43 filed by Defendant National Students for Justice in Palestine. (Attachments: # 1 Declaration, # 2 Proposed Order)(Attorney Mark A. Kleiman added to party National Students for Justice in Palestine(pty:dft))(Kleiman, Mark) (Entered: 08/04/2025)

1 Declaration

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2 Proposed Order

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Aug. 4, 2025

Aug. 4, 2025

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45

REPLY in support of NOTICE OF MOTION AND MOTION for Service by Publication and to Extend the Time to Serve Defendants National Students for Justice in Palestine and Doe #1 43 filed by Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. (Attachments: # 1 Declaration of Zachary P. Grouev (Supplemental))(McCarthy, Thomas) (Entered: 08/11/2025)

1 Declaration of Zachary P. Grouev (Supplemental)

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Aug. 11, 2025

Aug. 11, 2025

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46

Joint STIPULATION Extending Time to Answer the complaint as to AJP Educational Foundation, Inc. answer now due 10/24/2025; Osama Aburshaid answer now due 10/24/2025; Hatem Al-Bazian answer now due 10/24/2025; Peoples City Council answer now due 10/24/2025; WesPac Foundation answer now due 10/24/2025, re Complaint (Attorney Civil Case Opening), 1 filed by Plaintiffs Eli Tsives; Nir Hoftman; Dovid Gurevich; Matthew Weinberg. (Attachments: # 1 Proposed Order Granting Joint Stipulation to Set a Unified Response Deadline)(McCarthy, Thomas) (Entered: 08/13/2025)

1 Proposed Order Granting Joint Stipulation to Set a Unified Response Deadline

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Aug. 13, 2025

Aug. 13, 2025

47

TEXT ONLY ENTRY (IN CHAMBERS) ORDER TAKING MOTION (ECF No. 43 ) UNDER SUBMISSION by Judge Mark C. Scarsi: The Court has considered the matters raised with respect to the Motion for Service by Publication and to Extend the Time to Serve Defendants National Students for Justice in Palestine and Doe #1 (ECF No. 43 ) and has concluded that pursuant to Local Rule 7.15, the matter can be decided without oral argument. The Court advises counsel that the Motion(s), noticed for hearing on August 25, 2025, has been taken under submission and off its motion calendar. No appearance by counsel is necessary. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY. (smo) (Entered: 08/13/2025)

Aug. 13, 2025

Aug. 13, 2025

Text Only Scheduling Notice

Aug. 13, 2025

Aug. 13, 2025

48

PROOF OF SERVICE Executed by Plaintiff Eli Tsives, Nir Hoftman, Dovid Gurevich, Matthew Weinberg, upon Defendant National Students for Justice in Palestine served on 8/14/2025, answer due 9/4/2025. Service of the Summons and Complaint were executed upon Dylan Kupsh, an officer in compliance with Federal Rules of Civil Procedure by personal service (Brown, William) (Entered: 08/15/2025)

Aug. 15, 2025

Aug. 15, 2025

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49

PROOF OF SERVICE Executed by Plaintiff Eli Tsives, Nir Hoftman, Dovid Gurevich, Matthew Weinberg, upon Defendant UC Divest Coalition served on 8/14/2025, answer due 9/4/2025. Service of the Summons and Complaint were executed upon Dylan Kupsh, an officer in compliance with Federal Rules of Civil Procedure by personal service (Brown, William) (Entered: 08/15/2025)

Aug. 15, 2025

Aug. 15, 2025

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50

ORDER GRANTING JOINT STIPULATION TO SET A UNIFIED RESPONSE DEADLINE 46, by Judge Mark C. Scarsi: Based on the Joint Stipulation entered into by Defendants AJP Educational Foundation, Inc., d/b/a American Muslims for Palestine, Osama Aburshaid, and Hatem al-Bazian, WESPAC Foundation, Inc., and Peoples City Council, on the one hand, and Plaintiff Matthew Weinberg, et. al., on the other hand: IT IS ORDERED that Plaintiffs shall file an amended complaint on or beforeSeptember 24, 2025. The stipulating Defendants shall file their responsive pleadings on or before October 24. (lc) (Entered: 08/15/2025)

Aug. 15, 2025

Aug. 15, 2025

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51

MINUTES (IN CHAMBERS) by Judge Mark C. Scarsi: ORDER RE: MOTION TO SERVE BY PUBLICATION 43 . Plaintiffs Matthew Weinberg, Rabbi Dovid Gurevich, Nir Hoftman, and Eli Tsives filed a motion for extension of time to serve Defendants National Students for Justice in Palestine ("NSJP") and Doe # 1, and to serve NSJP by publication. (Mot., ECF No. 43.) NSJP made a special appearance to oppose the motion, (Opp'n, ECF No. 44), and Plaintiffs filed a reply brief, (Reply, ECF No. 45). The Court deemed the motion appropriate for decision without oral argument. (TOE, ECF No. 47.) After the Court took the motion under submission, Plaintiffs filed a proof of service indicating that they had served NSJP. (Proof of Service, ECF No. 48.) Therefore, Plaintiffs request for an extension of time to serve NSJP, and to serve NSJP by publication, is denied as moot.1 Plaintiffs' request for extended time to identify and serve Doe #1 is granted, and the Court extends the Rule 4(m) deadline for service of Doe #1 until 60 days from the date of this Order. (lc) (Entered: 08/22/2025)

Aug. 22, 2025

Aug. 22, 2025

52

Joint STIPULATION for Extension of Time to File Amended Complaint and Responses filed by Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. (Attachments: # 1 Proposed Order)(McCarthy, Thomas) (Entered: 09/24/2025)

Sept. 24, 2025

Sept. 24, 2025

53

ORDER GRANTING STIPULATED EXTENSION OF UNIFIED RESPONSE DEADLINE (ECF No. 52 ) by Judge Mark C. Scarsi. IT IS ORDERED that Plaintiffs may file an amended complaint by September 26, 2025. Defendants shall file their responsive pleadings by October 27. (chk) (Entered: 09/26/2025)

Sept. 25, 2025

Sept. 25, 2025

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54

FIRST AMENDED COMPLAINT against Defendants All Defendants amending Complaint (Attorney Civil Case Opening), 1, filed by Plaintiffs Eli Tsives, Nir Hoftman, Dovid Gurevich, Matthew Weinberg (Attachments: # 1 Appendix First Amended Complaint Redline)(McCarthy, Thomas) (Entered: 09/26/2025)

1 Appendix First Amended Complaint Redline

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Sept. 26, 2025

Sept. 26, 2025

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55

NOTICE OF MOTION AND MOTION for Extension of Time to File Proof of Service re Doe #1 filed by Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. Motion set for hearing on 11/17/2025 at 09:00 AM before Judge Mark C. Scarsi. (Attachments: # 1 Memorandum, # 2 Proposed Order) (McCarthy, Thomas) (Entered: 10/21/2025)

Oct. 21, 2025

Oct. 21, 2025

56

APPLICATION of Non-Resident Attorney Christina A. Jump to Appear Pro Hac Vice on behalf of Defendants AJP Educational Foundation, Inc., Osama Aburshaid (Pro Hac Vice Fee - $450 Fee Paid, Receipt No. ACACDC-40769600) filed by Defendant AJP Educational Foundation, Inc., Osama Aburshaid. (Attachments: # 1 Proposed Order, # 2 Unredacted Document Certificate of Good Standing) (Attorney Max August Schoening added to party AJP Educational Foundation, Inc.(pty:dft), Attorney Max August Schoening added to party Osama Aburshaid(pty:dft)) (Schoening, Max) (Entered: 10/23/2025)

Oct. 23, 2025

Oct. 23, 2025

57

APPLICATION of Non-Resident Attorney Samira S. Elhosary to Appear Pro Hac Vice on behalf of Defendants AJP Educational Foundation, Inc., Osama Aburshaid, Hatem Al-Bazian (Pro Hac Vice Fee - $450 Fee Paid, Receipt No. ACACDC-40769824) filed by Defendant AJP Educational Foundation, Inc., Osama Aburshaid, Hatem Al-Bazian. (Attachments: # 1 Proposed Order, # 2 Unredacted Document Certificate of Good Standing, # 3 Unredacted Document Certificate of Good Standing) (Attorney Max August Schoening added to party Hatem Al-Bazian(pty:dft)) (Schoening, Max) (Entered: 10/23/2025)

Oct. 23, 2025

Oct. 23, 2025

58

APPLICATION of Non-Resident Attorney Christina A. Jump to Appear Pro Hac Vice on behalf of Defendant Hatem Al-Bazian (Pro Hac Vice Fee - $450 Previously Paid on 10/23/2025, Receipt No. 40769600) filed by Defendant Hatem Al-Bazian. (Attachments: # 1 Proposed Order, # 2 Unredacted Document Certificate of Good Standing) (Schoening, Max) (Entered: 10/23/2025)

Oct. 23, 2025

Oct. 23, 2025

59

STIPULATION for Extension of Time to File Pleading Responsive to Amended Complaint filed by Defendant National Students for Justice in Palestine. (Attachments: # 1 Proposed Order)(Kleiman, Mark) (Entered: 10/24/2025)

1 Proposed Order

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Oct. 24, 2025

Oct. 24, 2025

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60

ORDER by Judge Mark C. Scarsi: finding as moot 56 ; granting 58 Non-Resident Attorney Christina A. Jump APPLICATION to Appear Pro Hac Vice on behalf of Defendants AJP Educational Foundation, Inc., Osama Aburshaid, Hatem Al-Bazian, designating Max A. Schoening as local counsel. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY (sbou) (Entered: 10/24/2025)

Oct. 24, 2025

Oct. 24, 2025

61

ORDER by Judge Mark C. Scarsi: granting 57 Non-Resident Attorney Samira S. Elhosary APPLICATION to Appear Pro Hac Vice on behalf of Defendants AJP Educational Foundation, Inc., Osama Aburshaid, Hatem Al-Bazian, designating Max A. Schoening as local counsel. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY (sbou) (Entered: 10/24/2025)

Oct. 24, 2025

Oct. 24, 2025

Appear Pro Hac Vice

Oct. 24, 2025

Oct. 24, 2025

Appear Pro Hac Vice AND Appear Pro Hac Vice

Oct. 24, 2025

Oct. 24, 2025

62

NOTICE OF MOTION AND MOTION to Dismiss Case filed by Defendant AJP Educational Foundation, Inc.. Motion set for hearing on 12/8/2025 at 09:00 AM before Judge Mark C. Scarsi. (Attachments: # 1 Memorandum in Support of Motion to Dismiss, # 2 Proposed Order, # 3 Exhibit A) (Schoening, Max) (Entered: 10/27/2025)

1 Memorandum in Support of Motion to Dismiss

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2 Proposed Order

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3 Exhibit A

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Oct. 27, 2025

Oct. 27, 2025

63

NOTICE of Interested Parties filed by Defendant AJP Educational Foundation, Inc., (Schoening, Max) (Entered: 10/27/2025)

Oct. 27, 2025

Oct. 27, 2025

64

NOTICE OF MOTION AND MOTION to Dismiss Case filed by Defendant Osama Aburshaid. Motion set for hearing on 12/8/2025 at 09:00 AM before Judge Mark C. Scarsi. (Attachments: # 1 Memorandum In Support of Motion to Dismiss, # 2 Proposed Order, # 3 Declaration of Dr. Abuirshaid) (Schoening, Max) (Entered: 10/27/2025)

1 Memorandum In Support of Motion to Dismiss

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2 Proposed Order

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3 Declaration of Dr. Abuirshaid

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Oct. 27, 2025

Oct. 27, 2025

65

NOTICE of Interested Parties filed by Defendant Osama Aburshaid, (Schoening, Max) (Entered: 10/27/2025)

Oct. 27, 2025

Oct. 27, 2025

66

NOTICE OF MOTION AND MOTION to Dismiss Case filed by Defendant Hatem Al-Bazian. Motion set for hearing on 12/8/2025 at 09:00 AM before Judge Mark C. Scarsi. (Attachments: # 1 Memorandum In Support of Motion to Dismiss, # 2 Proposed Order) (Schoening, Max) (Entered: 10/27/2025)

1 Memorandum In Support of Motion to Dismiss

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2 Proposed Order

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Oct. 27, 2025

Oct. 27, 2025

67

NOTICE of Interested Parties filed by Defendant Hatem Al-Bazian, (Schoening, Max) (Entered: 10/27/2025)

Oct. 27, 2025

Oct. 27, 2025

68

ORDER GRANTING STIPULATED EXTENSION OF RESPONSE DEADLINE FOR NATIONAL STUDENTS FOR JUSTICE IN PALESTINE 59 by Judge Mark C. Scarsi: Defendant National Students for Justice in Palestine shall file a pleading responsive to Plaintiffs' amended complaint by Wednesday, October 29, 2025. (lc) (Entered: 10/27/2025)

Oct. 27, 2025

Oct. 27, 2025

69

NOTICE OF MOTION AND MOTION to Dismiss Case filed by Defendant Peoples City Council. Motion set for hearing on 11/24/2025 at 09:00 AM before Judge Mark C. Scarsi. (Attachments: # 1 Declaration of Brown & Exhibits, # 2 Proposed Order Granting Deft's Mtn to Dismiss) (Brown, Rebecca) (Entered: 10/27/2025)

1 Declaration of Brown & Exhibits

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2 Proposed Order Granting Deft's Mtn to Dismiss

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Oct. 27, 2025

Oct. 27, 2025

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70

NOTICE of Interested Parties filed by Defendant Peoples City Council, (Brown, Rebecca) (Entered: 10/27/2025)

Oct. 27, 2025

Oct. 27, 2025

71

NOTICE OF MOTION AND MOTION to Dismiss Case for Lack of Personal Jurisdiction and Failure to State Claim filed by defendant WesPac Foundation. Motion set for hearing on 12/8/2025 at 09:00 AM before Judge Mark C. Scarsi. (Attachments: # 1 Declaration, # 2 Proposed Order) (Attorney Robert L. Herbst added to party WesPac Foundation(pty:dft)) (Herbst, Robert) (Entered: 10/27/2025)

Oct. 27, 2025

Oct. 27, 2025

72

CORPORATE DISCLOSURE STATEMENT and Notice of Interested Parties filed by Defendant WesPac Foundation identifying None as Corporate Parent. (Herbst, Robert) (Entered: 10/27/2025)

Oct. 27, 2025

Oct. 27, 2025

73

NOTICE of Interested Parties filed by Defendant National Students for Justice in Palestine, (Kleiman, Mark) (Entered: 10/29/2025)

Oct. 29, 2025

Oct. 29, 2025

74

NOTICE OF MOTION AND MOTION to Dismiss Case filed by Defendant National Students for Justice in Palestine. Motion set for hearing on 12/8/2025 at 09:00 AM before Judge Mark C. Scarsi. (Kleiman, Mark) (Entered: 10/29/2025)

Oct. 29, 2025

Oct. 29, 2025

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75

TEXT ONLY ENTRY (IN CHAMBERS) ORDER TAKING MOTION (ECF No. 55 ) UNDER SUBMISSION by Judge Mark C. Scarsi: The Court has considered the matters raised with respect to the Motion for Extension of Time to File Proof of Service re Doe #1 (ECF No. 55 ) and has concluded that pursuant to Local Rule 7.15, the matter can be decided without oral argument. The Court advises counsel that the Motion(s), noticed for hearing on November 17, 2025, has been taken under submission and off its motion calendar. No appearance by counsel is necessary. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY. (smo) (Entered: 11/05/2025)

Nov. 5, 2025

Nov. 5, 2025

Text Only Scheduling Notice

Nov. 5, 2025

Nov. 5, 2025

76

TEXT ONLY ENTRY by Judge Mark C. Scarsi re: MOTION to Dismiss Case (ECF No. 69 ). The Court, on its own motion, CONTINUES the motion hearing from November 24, 2025 to December 8, 2025, at 9:00 AM before Judge Mark C. Scarsi. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY. (smo) (Entered: 11/06/2025)

Nov. 6, 2025

Nov. 6, 2025

Text Only Scheduling Notice

Nov. 6, 2025

Nov. 6, 2025

77

MINUTES (IN CHAMBERS) by Judge Mark C. Scarsi: ORDER RE: MOTION FOR EXTENSION OF TIME TO IDENTIFY AND SERVE DEFENDANT DOE #1 55 . Plaintiffs Matthew Weinberg, Rabbi Dovid Gurevich, Nir Hoftman, and Eli Tsives filed a motion for extension of time to serve Defendant John Doe #1. The defendants who have appeared in this action indicated that they take no position on the requested relief or did not respond to Plaintiffs' inquiry. No timely response to the motion has been filed. The Court deems the motion appropriate for decision without oral argument. The motion is granted in part. Plaintiffs have 30 days from entry of this Order to file a proof of service as to John Doe #1. Failure to file a proof of service within 30 days will result in dismissal without further warning. See Fed R. Civ. P. 4(m). No further extensions of the Rule 4(m) deadline will be granted. (lc) (Entered: 11/10/2025)

Nov. 10, 2025

Nov. 10, 2025

78

EX PARTE APPLICATION for Order for To Set Unified Response to Motions to Dismiss filed by Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. (Attachments: # 1 Declaration of William J. Brown, Jr., # 2 Declaration of Zachary P. Grouev, # 3 Proposed Order) (Brown, William) (Entered: 11/12/2025)

Nov. 12, 2025

Nov. 12, 2025

79

OPPOSITION re: EX PARTE APPLICATION for Order for To Set Unified Response to Motions to Dismiss 78 filed by Defendant Peoples City Council. (Attachments: # 1 Declaration of Brown)(Brown, Rebecca) (Entered: 11/13/2025)

1 Declaration of Brown

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Nov. 13, 2025

Nov. 13, 2025

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80

ORDER GRANTING IN PART EX PARTE APPLICATION FOR ORDER TO SET UNIFIED RESPONSE TO DEFENDANTS' MOTIONS TO DISMISS 78 by Judge Mark C. Scarsi: 1. The Defendants Motions to Dismiss (ECF Nos. 62, 64, 66, 69, 71, and 74 ) shall be set for Hearing on December 15, 2025, at 9:00 a.m., with the Reply Briefs due on December 5, 2025, and the Opposition Brief due on November 24, 2025;2. Plaintiffs shall file a single Opposition Brief in response to the motions to dismiss. Plaintiffs shall be allowed double the usual brief length of 7000 words under Local Rule 11-6.1, such that Plaintiffs single Opposition brief shall not exceed 14,000 words. (lc) Modified on 11/17/2025 (lc). (Entered: 11/17/2025)

Nov. 17, 2025

Nov. 17, 2025

81

MEMORANDUM in Opposition to NOTICE OF MOTION AND MOTION to Dismiss Case for Lack of Personal Jurisdiction and Failure to State Claim 71, NOTICE OF MOTION AND MOTION to Dismiss Case 69, NOTICE OF MOTION AND MOTION to Dismiss Case 66, NOTICE OF MOTION AND MOTION to Dismiss Case 74, NOTICE OF MOTION AND MOTION to Dismiss Case 64, NOTICE OF MOTION AND MOTION to Dismiss Case 62 filed by Plaintiffs Dovid Gurevich, Nir Hoftman, Eli Tsives, Matthew Weinberg. (McCarthy, Thomas) (Entered: 11/24/2025)

Nov. 24, 2025

Nov. 24, 2025

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82

First APPLICATION of Non-Resident Attorney Joshua Colangelo-Bryan to Appear Pro Hac Vice on behalf of Defendant WesPac Foundation (Pro Hac Vice Fee - $450.00 Previously Paid on 11/24/2025, Receipt No. ACACDC-40972741) filed by Defendant WesPac Foundation. (Attachments: # 1 Proposed Order, # 2 Certificate of Good Standing) (Judah, Ramsey) (Entered: 11/26/2025)

Nov. 26, 2025

Nov. 26, 2025

83

ORDER by Judge Mark C. Scarsi: granting 82 Non-Resident Attorney Joshua Colangelo-Bryan APPLICATION to Appear Pro Hac Vice on behalf of Defendant WesPac Foundation, designating Ramsey Judah as local counsel. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY (sbou) (Entered: 12/01/2025)

Dec. 1, 2025

Dec. 1, 2025

Appear Pro Hac Vice

Dec. 1, 2025

Dec. 1, 2025

84

REPLY reply in support NOTICE OF MOTION AND MOTION to Dismiss Case for Lack of Personal Jurisdiction and Failure to State Claim 71 filed by Defendant WesPac Foundation. (Attachments: # 1 Declaration, # 2 Declaration)(Herbst, Robert) (Entered: 12/05/2025)

1 Declaration

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2 Declaration

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Dec. 5, 2025

Dec. 5, 2025

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85

REPLY Support NOTICE OF MOTION AND MOTION to Dismiss Case 64 filed by Defendant Osama Aburshaid. (Schoening, Max) (Entered: 12/05/2025)

Dec. 5, 2025

Dec. 5, 2025

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86

REPLY IN SUPPORT OF NOTICE OF MOTION AND MOTION to Dismiss Case 66 filed by Defendant Hatem Al-Bazian. (Schoening, Max) (Entered: 12/05/2025)

Dec. 5, 2025

Dec. 5, 2025

87

REPLY IN SUPPORT OF NOTICE OF MOTION AND MOTION to Dismiss Case 62 filed by Defendant AJP Educational Foundation, Inc.. (Schoening, Max) (Entered: 12/05/2025)

Dec. 5, 2025

Dec. 5, 2025

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88

REPLY in support of NOTICE OF MOTION AND MOTION to Dismiss Case 69 filed by Defendant Peoples City Council. (Brown, Rebecca) (Entered: 12/05/2025)

Dec. 5, 2025

Dec. 5, 2025

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89

REPLY in support of NOTICE OF MOTION AND MOTION to Dismiss Case for Lack of Personal Jurisdiction and Failure to State Claim 71 Corrected Reply filed by Defendant WesPac Foundation. (Attachments: # 1 Declaration, # 2 Declaration)(Herbst, Robert) (Entered: 12/06/2025)

1 Declaration

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2 Declaration

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Dec. 6, 2025

Dec. 6, 2025

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90

REPLY IN SUPPORT OF NOTICE OF MOTION AND MOTION to Dismiss Case 74 First Amended Complaint filed by Defendant National Students for Justice in Palestine. (Kleiman, Mark) (Entered: 12/08/2025)

Dec. 8, 2025

Dec. 8, 2025

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91

NOTICE OF ERRATA filed by Defendant WesPac Foundation. correcting Reply (Motion related), 84 Corrected Reply earlier filed - Doc. 89 (Herbst, Robert) (Entered: 12/08/2025)

Dec. 8, 2025

Dec. 8, 2025

Case Details

State / Territory:

California

Case Type(s):

Speech and Religious Freedom

Key Dates

Filing Date: April 25, 2025

Case Ongoing: Yes

Plaintiffs

Plaintiff Description:

Plaintiff Nir Hoftman is a Professor at the David Geffen School of Medicine at UCLA. Plaintiff Matthew Weinberg is a third year law student at UCLA. Plaintiff Dovid Gurevich is the Rabbi of Chabad House at ULCA. Plaintiff Eli Tsives is an undergraduate student at UCLA. All plaintiffs are Jewish.

Plaintiff Type(s):

Private Plaintiff

Public Interest Lawyer: No

Filed Pro Se: No

Class Action Sought: No

Class Action Outcome: Not sought

Defendants

Non-profit or advocacy

AJP Educational Foundation

Faculty for Justice in Palestine Network

National Students for Justice in Palestine

People’s City Council

UC Divest Coalition

WESPAC Foundation

Private Entity/Person

2024 President of UCLA Chapter

AMP's Executive Director

Chairman of AMP's Board of Directors

Defendant Type(s):

College/University

Facility Type(s):

Non-government non-profit

Case Details

Causes of Action:

42 U.S.C. § 1985

Other Dockets:

Central District of California 2:25-cv-03714

Available Documents:

Complaint (any)

Trial Court Docket

Outcome

Prevailing Party: None Yet / None

Relief Sought:

Attorneys fees

Damages

Declaratory judgment

Relief Granted:

None yet

Source of Relief:

None yet

Issues

Discrimination Basis:

Religion discrimination

Affected National Origin/Ethnicity(s):

Israeli

Palestinian

Affected Religion(s):

Judaism

Recommended Citation