Parrish et al v. National Football League Players Incorporated
Filing
344
Declaration of JEFFREY KESSLER in Support of 343 Letter Brief DEFENDANTS REPLY LETTER BRIEF filed byNational Football League Players Incorporated, National Football League Players Association. (Attachments: # 1 Exhibit EXHIBIT 1 MANUAL FILING NOTICE, # 2 Exhibit EXHIBIT 2 MANUAL FILING NOTICE, # 3 Exhibit EXHIBIT 3 MANUAL FILING NOTICE, # 4 Exhibit EXHIBIT 4 MANUAL FILING NOTICE, # 5 Exhibit EXHIBIT 5, # 6 Exhibit EXHIBIT 6 MANUAL FILING NOTICE, # 7 Exhibit EXHIBIT 7 MANUAL FILING NOTICE, # 8 Exhibit EXHIBIT 8, # 9 Exhibit EXHIBIT 9 MANUAL FILING NOTICE, # 10 Exhibit EXHIBIT 10, # 11 Exhibit EXHIBIT 11, # 12 Exhibit EXHIBIT 12, # 13 Exhibit EXHIBIT 13, # 14 Exhibit EXHIBIT 14, # 15 Exhibit EXHIBIT 15, # 16 Exhibit EXHIBIT 16, # 17 Exhibit EXHIBIT 17 MANUAL FILING NOTICE, # 18 Exhibit EXHIBIT 18, # 19 Exhibit EXHIBIT 19 MANUAL FILING NOTICE)(Related document(s) 343 ) (Padnos, Todd) (Filed on 8/1/2008)
EXHIBIT 11
Case No. C 07 0943 WHA Parrish v. National Football League Players Association, et al.
DEWEY
1301
LEBOEUF LLP
AVENUE OF THE AMERICAS
DEWEY
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MARCH 28 2008
BY FEDERAL EXPRESS
HUBERT RYAN MANATT PHELPS 1001 PAGE MILL
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94304
RE
DEAR
PARRISH
ET
NFLPA
ET AL
ND CAL NO C07
NFLPIOI3
0943
WHA
RYAN
ENCLOSED PLEASE FIND
DISC BEARING
TIFF
FILES
FOR THC FOLLOWING
BALES
RANGE WITH
CORRESPONDING
CONCORDANCE LOADFILE
P1131053
P1133023
THAT DEFENDANTS
BY MAKING MAY
THEIR PRIOR OBJECTIONS SUBJECT TO AND WITHOUT
THIS
PRODUCTION DEFENDANTS DO NOT WAIVE ANY OBJECTION
OR OTHER ASPECT OF THESE DOCUMENTS OF DOCUMENTS REQUESTS FOR PRODUCTION
ASSERT AS TO THE RELEVANCE ADMISSIBILITY
TO PLAINTIFFS
DEFENDANTS RESERVE
PRODUCTION
IS
AND
THIS
MADE
WAIVER OF DEFENDANTS
WRITTEN OBJECTIONS
AND RESPONSES
THERETO
FINALLY THE STIPULATED PROTECTIVE
REMIND YOU THAT WE ARE PRODUCING THESE DOCUMENTS PURSUANT TO THE TERMS OF ORDER ENTERED ON JULY 30 2007 PLEASE NOTE THAT IF WE HAVE PRODUCED ANY
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