Brady et al v. National Football League et al

Filing 84

Supplemental AFFIDAVIT of Mark J. Feinberg in SUPPORT OF 58 MOTION for Preliminary Injunction (originally filed in 11-748 SRN/JJG on 4/7/11) filed by Obafemi Ayanbadejo, Ryan Collins, Carl Eller, Priest Holmes, Antawan Walker. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Certificate of Service)(akl)

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MINNESOTA Carl Eller, Priest Holmes, Obafemi Ayanbadejo, Antawan Walker, and Ryan Collins, individually, and on behalf of all others similarly situated, Civil Action No: 0:11-cv-00748-SRN-JJG Plaintiffs, v. National Football League, Arizona Cardinals, Inc., Atlanta Falcons Football Club LLC, Baltimore Ravens Limited Partnership, Buffalo Bills, Inc., Panthers Football LLC, Chicago Bears Football Club, Inc., Cincinnati Bengals, Inc., Cleveland Browns LLC, Dallas Cowboys Football Club, Ltd., Denver Broncos Football Club, Detroit Lions, Inc., 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, New England Patriots, LP, New Orleans Louisiana Saints, LLC, New York Football Giants, Inc., New York Jets Football Club, Inc., Oakland Raiders LP, Philadelphia Eagles Football Club, Inc., Pittsburgh Steelers Sports, Inc., San Diego Chargers Football Co., San Francisco Forty Niners Ltd., Football Northwest LLC, The Rams Football Co. LLC, Buccaneers Limited Partnership, Tennessee Football, Inc., Washington Football Inc. Defendants. SUPPLEMENTAL AFFIDAVIT OF MARK J. FEINBERG IN SUPPORT OF MOTION FOR PRELIMINARY INJUNCTION STATE OF MINNESOTA COUNTY OF HENNEPIN ) ) SS ) Mark J. Feinberg, being first duly sworn states as follows: 1. I am a partner in the law firm of Zelle Hofmann Voelbel & Mason LLP and am one of the counsel for Plaintiffs in this matter. I am fully familiar with the facts described herein and I submit this supplemental affidavit in connection with Plaintiffs’ Motion for Preliminary Injunction. 2. Attached as Exhibit 1 is a true and correct copy of the PowerPoint Presentation presented to the Court during the April 6, 2011 Hearing in this matter. 3. Attached as Exhibit 2 is a true and correct copy of an April 4, 2011 letter addressed to “Retired Player” which was presented to the Court during the April 6, 2011 Hearing in this matter. 4. At the conclusion of the April 6, 2011 Hearing, the Court permitted these two exhibits to be made a part of the record. FURTHER YOUR AFFIANT SAYETH NOT. Dated: April 7, 2011 s/Mark J. Feinberg Mark J. Feinberg Subscribed and sworn to before me this 7th day of April, 2011. s/Amanda M. Garberson Notary Public, Anoka County, MN My Commission Expires: Jan. 31, 2015 356197v2 2

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