Brady et al v. National Football League et al

Filing 73

AMENDED COMPLAINT (originally filed in 11-cv-748 SRN/JJG on 4/1/11) against Arizona Cardinals, Inc., Atlanta Falcons Football Club LLC, Baltimore Ravens Limited Partnership, Buccaneers Limited Partnership, Buffalo Bills, Inc., Chicago Bears Football Club, Inc., Cinncinnati Bengals, Inc., Cleveland Browns LLC, Dallas Cowboys Football Club, Ltd., Denver Broncos Football Club, Detroit Lions, Inc., Football Northwest LLC, Green Bay Packers, Inc., Houston NFL Holdings LP, Indianapolis Colts, Inc., Jacksonville Jaguars Ltd., Kansas City Chiefs Football Club, Inc., Miami Dolphins, Ltd., Minnesota Vikings Football Club LLC, National Football League, New England Patriots, LP, New Orleans Louisiana Saints, LLC, New York Football Giants, Inc., New York Jets Football Club, Inc., Oakland Raiders LP, Panthers Football LLC, Philadelphia Eagles Football Club, Inc., Pittsburgh Steelers Sports, Inc., Rams Football Co, LLC, The, San Diego Chargers Football Co., San Francisco Forty Niners Ltd., Tennessee Football, Inc., Washington Football Inc., filed by Priest Holmes, Ryan Collins, Carl Eller, Obafemi Ayanbadejo. (Attachments: # 1 Exhibit Index, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C, # 5 Exhibit D, # 6 Exhibit E, # 7 Exhibit F, # 8 Exhibit G, # 9 Exhibit H, # 10 Exhibit I, # 11 Exhibit J, # 12 Exhibit K, # 13 Exhibit L, # 14 Exhibit M, # 15 Exhibit N, # 16 Exhibit O, # 17 Certificate of Service) (akl)

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EXHIBIT INDEX A White v. NFL, No. 4-92-906 (DSD), 2011 WL 706319 (D. Minn. March 1, 2011) (“the White case”) B Internal NFL document entitled “Decision Tree” made publicly available in the White case C Internal NFL document entitled “Key Current NFL Media Objectives” made publicly available in the White case D Internal NFL document entitled “Current Television Packages Short Term Extension Alternative” made publicly available in the White case E Internal NFL document entitled “Short Term Extension: Concept Overview” made publicly available in the White case F Letter dated August 6, 2009, from the NFL Players Association (“NFLPA”) to the National Football League (“NFL”) made publicly available at its website NFLLockout.com G Letter dated June 7, 2010, from the NFLPA to the NFL made publicly available at its website NFLLockout.com H Letter dated July 8, 2010, from the NFLPA to the NFL made publicly available at its website NFLLockout.com I Letter dated October 27, 2010, from the NFLPA to the NFL made publicly available at its website NFLLockout.com J Letter dated December 15, 2010, from the NFLPA to the National Football League Management Council made publicly available at its website NFLLockout.com K Letter dated May 18, 2010, from the NFLPA to the NFL made publicly available at its website NFLLockout.com L Memorandum dated March 11, 2011, from the NFLPA to the NFL Club Presidents and General Managers made publicly available at its website NFLLockout.com M Letter dated March 11, 2011, from the NFLPA to the NFL made publicly available at its website NFLLockout.com N Letter dated March 11, 2011, from the NFL to the NFLPA made publicly available at the NFLPA’s website NFLLockout.com O Press release issued by the Federal Mediation & Conciliation Service dated March 11, 2011 that is publicly available from its website 355717v1 2

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