IP HII EDVA 00483 Doc. 0162
COMES NOW, Mr. Bill Maadarani, by and through his undersigned counsels, and pursuant to Federal Rule of Civil Procedure 24 respectfully moves this court to allow Mr. Maadarani to intervene in the above captioned...
DISTIL analysis
- Bilal Maadarani seeks to intervene in existing litigation between HII Mission Technologies and Cyberlux Corp.
- Maadarani claims dual status as Cyberlux shareholder and former Chief Revenue Officer
- Claims $1,062,576.98 owed from interpleaded funds based on contract with Cyberlux d/b/a Datron World Communications
- Motion filed under Fed. R. Civ. P. 24 seeking intervention as of right or permissively
- Proposed complaint in intervention attached as Exhibit 5 to supporting memorandum
Extracted text
3 pages · 2573 charactersIN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF VIRGINIA RICHMOND DIVISION
HII MISSION TECHNOLOGIES CORP.,
Plaintiff
Case No. 3:25-cv-00483-JAG
v.
CYBERLUX CORP., et. al.,
Defendants.
COMES NOW, Mr. Bill Maadarani, by and through his undersigned counsels, and pursuant to Federal Rule of Civil Procedure 24 respectfully moves this court to allow Mr. Maadarani to intervene in the above captioned suit. In support of this motion, Mr. Maadarani submits the attached memorandum of law with exhibits, including the proposed complaint in intervention which is attached as exhibit 5 to the memorandum of law.
Mr. Maadarani is a shareholder of the defendant, Cyberlux Corp., ("Cyberlux") and also its former Chief Revenue Officer. Pursuant to their contract and Mr. Maandarani's reliance upon said contract, Cyberlux d/b/a Datron World Communications owes Mr. Maadarani $1,062,576.98 from the monies HII Mission Technologies Corp. ("HII") interpleaded in this case.
Mr. Maadarani seeks to intervene as a matter of right or in the alternative permissively. In support of this motion Mr. Maddarani submits his memorandum of law with attached exhibits and proposed complaint in intervention.
For all the reasons set forth in Mr. Maadarani's memorandum of law, he humbly requests that the court grant this motion and deem the attached complaint as filed upon entry of an order granting this motion.
Dated: April 9, 2026 Pinellas County
Respectfully Submitted, Ce
Mohamad A Akbik, Esq.
(pending Pro Hac Vice admission)
FL Bar: 116366
Clearwater, FL 33756
Telephone:
727-223-3005
Facsimile:
727-223-3578
Email: akbiklaw@outlook.com
han
Keith A. Jaworski, Esq. (VSB #101178) WOODS ROGERS VANDEVENTER BLACK PLC 120 Garrett Street, Suite 304 Charlottesville, VA 22902 Telephone: 434-220-6825 Facsimile: 434-220-5687 Keith.Jaworski@woodsrogers.com
CERTIFICATE OF SERVICE
I hereby certify that on this 9th day of April, 2026, a true and correct copy of the foregoing was served via CM/ECF, upon all counsel of record.
The fe
Keith A. Jaworski, Esq. (VSB #101178) WOODS ROGERS VANDEVENTER BLACK PLC 120 Garrett Street, Suite 304 Charlottesville, VA 22902 Telephone: 434-220-6825 Facsimile: 434-220-5687 Keith.Jaworski@woodsrogers.com
Original source file
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- ip-hii-edva-00483-doc-0162.pdf
- Source UID
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- Full SHA-256
- 20483aaee7a1d2a33078958db6043ba55cc509e23fa428d4eee082efda8ab4e1