Brady et al v. National Football League et al

Filing 176

Amended MOTION for Extension of Time / Reschedule Hearing on Defendants' Motion to Dismiss (Joint) by Arizona Cardinals Football Club, Inc., Atlanta Falcons Football Club, LLC, Obafemi Ayanbadejo, Baltimore Ravens Limited Partnership, Buccaneers Limited Partnership, Buffalo Bills, Inc., Chargers Football Company, LLC, Chicago Bears Football Club, Inc., The, Cinncinnati Bengals, Inc., Cleveland Browns Football Company LLC, Ryan Collins, Dallas Cowboys Football Club, Ltd., Detroit Lions, Inc., The, Carl Eller, Football Northwest LLC, Green Bay Packers, Inc., Priest Holmes, Houston NFL Holdings, LP, Indianapolis Colts, Inc., Jacksonville Jaguars, Ltd., Kansas City Chiefs Football Club, Inc., Miami Dolphins, Ltd., Minnesota Vikings Football, LLC, National Football League, New England Patriots LP, New Orleans Louisiana Saints, LLC, New York Football Giants, Inc., New York Jets LLC, Oakland Raiders LP, The, PDB Sports, Ltd., Panthers Football, LLC, Philadelphia Eagles, LLC, Pittsburgh Steelers Sports, Inc., Pro-Football, Inc., Rams Football Co, LLC, The, San Diego Chargers Football Co., San Francisco Forty Niners Ltd., St. Louis Rams Partnership, The, Tennessee Football, Inc., Antawan Walker, Washington Football Inc.. (Connolly, Daniel)

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UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA TOM BRADY, ET AL Plaintiffs, v. NATIONAL FOOTBALL LEAGUE, ET AL. Defendants. CIVIL NO. 11-CV-639 (SRN/JJG) AMENDED JOINT MOTION OF DEFENDANTS AND THE ELLER PLAINTIFFS TO RESCEHDULE THE HEARING ON DEFENDANTS’ MOTION TO DISMISS The Eller Plaintiffs and NFL Defendants hereby jointly move to postpone by one month the hearing on Defendants’ motion to dismiss the Eller Plaintiffs First Amended Class Action Complaint (Dkt. No. 137). The hearing is currently set for August 29, 2011 at 1:30 p.m. (Dkt. No. 139). The parties make this joint request to allow the NFL Defendants to focus on the continuing mediation ordered by the Court (Dkt. No. 56). With the Court’s guidance, the NFL Defendants previously scheduled a hearing date of August 29, 2011 at 1:30 p.m. for the NFL Defendants’ motion to dismiss the Eller Plaintiffs’ complaint. (Dkt No. 139). At the Court’s direction the parties have also been meeting from time to time since April 11, 2011, in an effort to resolve their disputes. The Eller Plaintiffs have also moved for leave to file a Second Amended Complaint. Both the Eller Plaintiffs and the NFL Defendants agree that postponing by at least thirty days the hearing date for the NFL Defendants’ motion to dismiss will aid the continuing court-ordered discussions and preserve the resources of the Court and the parties. The parties therefore respectfully request the Court to allow the NFL Defendants to reschedule the hearing date and briefing schedule applicable to this motion by at least thirty days. Once the parties have settled a new hearing date, on or after September 8, 2011, Defendants will file an Amended Notice for Hearing. Respectfully submitted, Dated: July 19, 2011 Dated: July 19, 2011 By: s/Daniel J. Connolly Daniel J. Connolly, #197427 Aaron D. Van Oort, #315539 FAEGRE & BENSON LLP 2200 Wells Fargo Center 90 South Seventh Street Minneapolis, MN 55402-3901 Telephone (612) 766-7806 Facsimile (612) 766-1600 By: s/ Mark J. Feinberg Mark J. Feinberg (#28654) Michael E. Jacobs (#0309552) Shawn D. Stuckey (0388976) ZELLE HOFFMANN VOELBEL & MASON, LLP 500 Washington Ave. S., Ste. 4000 Minneapolis, MN 55415 Telephone (612) 339-2020 Facsimile (612) 336-9100 Attorneys for Defendants Attorneys for Eller Plaintiffs 2

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