Hollywood Foreign Press Association v. Red Zone Capital Partners II, L.P. et al Featured Case
Plaintiff: Hollywood Foreign Press Association
Defendant: Dick Clark Productions, Inc., Does and Red Zone Capital Partners II, L.P.
Case Number: 2:2010cv08833
Filed: November 17, 2010
Court: US District Court for the Central District of California
Presiding Judge: Valerie Baker Fairbank
Presiding Judge: Fernando M. Olguin
Nature of Suit: Trademark
Docket Report

This docket was last retrieved on August 22, 2012. A more recent docket listing may be available from PACER.

Date Filed Document Text
January 23, 2012 Filing 273 REQUEST by Non-Party CBS Corporation and Non-Party Witness, Leslie Moonves, to Enforce Prior Court Order Permitting Video Testimony; Declaration of Leslie Moonves in Support Thereof. (kbr)
January 23, 2012 Filing 272 RESPONSE BY THE COURT TO NOTICE TO FILER OF DEFICIENCIES IN ELECTRONICALLY FILED DOCUMENTS by clerk to Judge A. Howard Matz. The document is accepted as filed. RE: MOTION for Order for To Exclude Evidence and Argument Or, Alternatively, Compel Compliance With Subpoenas and Production of Documents 255 . (kbr)
January 23, 2012 Filing 271 OBJECTIONS to Declaration (non-motion), Declaration (non-motion) 270 of Mirjana Van Blaricom filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 21, 2012 Filing 270 DECLARATION of Mirjana Van Blaricom filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Attachments: # 1 Declaration of Van Blaricom)(Katz, Martin)
January 20, 2012 Filing 269 OBJECTIONS to Declaration (non-motion) 244 of David Tenzer filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Attachments: # 1 Declaration of Peter E. Gratzinger, # 2 Exhibit 1 - Part 1, # 3 Exhibit 1 - Part 2, # 4 Exhibit 33, # 5 Exhibit A, # 6 Exhibit B)(Phillips, Bradley)
January 20, 2012 Filing 268 OBJECTIONS to Declaration (non-motion) 243 of Lorenzo Soria filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
January 20, 2012 Filing 267 OBJECTIONS to Declaration (non-motion) 234 of Scott Orlin filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
January 20, 2012 Filing 266 OBJECTIONS to Declaration (non-motion) 233 of Chantal Dinnage filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
January 20, 2012 Filing 265 OBJECTIONS to Declaration (non-motion) 236 of Joseph Calabrese filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
January 20, 2012 Filing 264 OBJECTIONS to Declaration (non-motion) 242 of Philip Berk filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
January 20, 2012 Filing 263 OBJECTIONS to Declaration (non-motion) 239 of Dennis Cline filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 20, 2012 Filing 262 OBJECTIONS to Declaration (non-motion) 240 of Susan Brooks filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 20, 2012 Filing 261 NOTICE OF ERRATA filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. correcting Declaration (non-motion) 236 , Miscellaneous Document,, 248 , Miscellaneous Document 246 (Attachments: # 1 Exhibits A and B)(Lucas, Amy)
January 20, 2012 Filing 260 OBJECTIONS to Declaration (non-motion) 238 of Joel Behr filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 20, 2012 Filing 259 OBJECTIONS to Declaration (non-motion) 241 of Richard W. Clark filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 20, 2012 Opinion or Order Filing 258 MINUTE ORDER IN CHAMBERS by Judge A. Howard Matz: ORDER by Judge A. Howard Matz setting Status Conference for 1/23/2012 at 02:00 PM before Judge A. Howard Matz. (se)
January 20, 2012 Filing 257 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: MOTION for Order for To Exclude Evidence and Argument Or, Alternatively, Compel Compliance With Subpoenas and Production of Documents 255 . The following error(s) was found: Hearing information is missing, incorrect, or not timely. In response to this notice the court may order (1) an amended or correct document to be filed (2) the document stricken or (3) take other action as the court deems appropriate. You need not take any action in response to this notice unless and until the court directs you to do so. (se)
January 19, 2012 Filing 256 NOTICE OF MOTION re MOTION for Order for To Exclude Evidence and Argument Or, Alternatively, Compel Compliance With Subpoenas and Production of Documents 255 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. Motion set for hearing on 1/24/2012 at 09:00 AM before Judge A. Howard Matz. (Petrocelli, Daniel)
January 19, 2012 Filing 255 MOTION for Order for To Exclude Evidence and Argument Or, Alternatively, Compel Compliance With Subpoenas and Production of Documents filed by Plaintiff and Counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 1/24/2012 at 09:00 AM before Judge A. Howard Matz. (Attachments: # 1 Declaration of Laura E. Perry in Support of Motion with Exhibits 1 - 11, # 2 Proposed Order)(Petrocelli, Daniel) Modified on 1/20/2012 (se).
January 19, 2012 Filing 254 NOTICE OF ERRATA filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. correcting Witness List 253 (Lucas, Amy)
January 19, 2012 Filing 253 Witness List filed by Plaintiff and Counter-defendants Hollywood Foreign Press Association.. (Petrocelli, Daniel)
January 19, 2012 Filing 252 Witness List filed by Plaintiff and Counter-defendants Hollywood Foreign Press Association.. (Petrocelli, Daniel)
January 17, 2012 Filing 251 TRIAL BRIEF filed by Defendants & Counterclaimant Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P... (Attachments: # 1 Declaration Declaration of Peter E. Gratzinger in support of Defendants' Trial Brief)(Phillips, Bradley)
January 17, 2012 Filing 250 Compendium of Exhibit List In Support of Trial Brief and Declarations filed by Defendants & Counterclaimant Red Zone Capital Partners II, L.P... (Attachments: # 1 Part 1, # 2 Part 2, # 3 Part 3, # 4 Part 4, # 5 Part 5)(Phillips, Bradley)
January 17, 2012 Filing 249 NOTICE OF ERRATA filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. correcting Miscellaneous Document 246 (Lucas, Amy)
January 14, 2012 Filing 248 Compendium of Exhibits 100 - 716 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association re: Declaration (non-motion) 244 , Declaration (non-motion) 234 , Declaration (non-motion) 236 , Declaration (non-motion) 242 , Declaration (non-motion) 233 , Declaration (non-motion) 243 (Attachments: # 1 Exhibits 100 thru 285, # 2 Exhibits 300 thru 393, # 3 Exhibits 400 thru 499, # 4 Exhibits 500 thru 599, # 5 Exhibits 607 thru 716)(Petrocelli, Daniel)
January 14, 2012 Filing 247 NOTICE OF LODGING filed re Minutes of In Chambers Order/Directive - no proceeding held, 227 (Attachments: # 1 [Proposed] Findings of Fact and Conclusions of Law)(Petrocelli, Daniel)
January 13, 2012 Filing 246 Compendium of Exhibits with Exhibits 1-5 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association re: Declaration (non-motion) 242 , Declaration (non-motion) 243 (Petrocelli, Daniel)
January 13, 2012 Filing 245 NOTICE OF LODGING filed Defendants' Proposed Findings of Fact and Conclusions of Law re Minutes of In Chambers Order/Directive - no proceeding held, 227 (Attachments: # 1 Proposed Order)(Katz, Martin)
January 13, 2012 Filing 244 DECLARATION of David Tenzer filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 13, 2012 Filing 243 DECLARATION of Lorenzo Soria filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 13, 2012 Filing 242 DECLARATION of Philip Berk filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 13, 2012 Filing 241 DECLARATION of Richard W. Clark filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Katz, Martin)
January 13, 2012 Filing 240 DECLARATION of Susan Brooks filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Katz, Martin)
January 13, 2012 Filing 239 DECLARATION of Dennis N. Cline filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Katz, Martin)
January 13, 2012 Filing 238 DECLARATION of Joel Behr filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Katz, Martin)
January 13, 2012 Filing 237 AMENDED JOINT Exhibit List filed by plaintiff and cross-defendant Hollywood Foreign Press Association.. (Petrocelli, Daniel)
January 13, 2012 Filing 236 DECLARATION of Joseph Calabrese filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 13, 2012 Filing 235 Witness List filed by Plaintiff and Counter-Defendant Hollywood Foreign Press Association.. (Petrocelli, Daniel)
January 13, 2012 Filing 234 DECLARATION of Scott Orlin filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 13, 2012 Filing 233 DECLARATION of Chantal Dinnage filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
January 12, 2012 Opinion or Order Filing 232 MINUTE ORDER IN CHAMBERS by Judge A. Howard Matz. To help the Court prepare for the trial, the parties are ordered to jointly submit the following by Wednesday, January 18, 2012: a Revised Joint Trial Witness Estimate Form, updated to remove any witnesses no longer expected to testify, along with any other relevant changes. (kbr)
January 10, 2012 Filing 230 Proof OF SERVICE filed by plaintiff/counter-defendant Hollywood Foreign Press Association, re Under Seal Manual Filings (G-92) 229 served electronically on 1/10/12. (se)
January 10, 2012 Filing 229 NOTICE of Manual Filing filed by Plaintiff Hollywood Foreign Press Association of The above-mentioned cause of action has been designated as an electronically filed case. In accordance with General Order 10-07 or any successor General Order and Local Rule 5-4, the following document(s) or item(s) will be manually filed. HFPA's in Camera Submission of Privileged Dcouments Filed Under Seal Pursuant to the Court's January 3, 2012 Order.. (Petrocelli, Daniel)
January 3, 2012 Opinion or Order Filing 228 MINUTE ORDER IN CHAMBERS by Judge A. Howard Matz: DENYING Motion in Limine (#1) 115 ; GRANTING Motion in Limine (#2) 116 ; and DENYING Motion in Limine (#4) 117 . The Court ORDERS HFPA to file in camera and under seal unredacted copies of Bates WW001449, the September 29, 1993 time sheets and all time sheets involving Weissmann's meeting with Van Blaricom (and perhaps others) on October 5, 1993. These items shall be filed by no later than January 10, 2012. (kbr)
January 3, 2012 Opinion or Order Filing 227 MINUTE ORDER IN CHAMBERS by Judge A. Howard Matz. Because Monday, January 16, 2012 is a federal holiday, pretrial filings otherwise due on that date should be filed no later than Friday, January 13, 2012 so that the Court has sufficient time to review them in advance of trial. (kbr)
December 20, 2011 Filing 226 NOTICE OF LODGING Proposed Pretrial Conference Order Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 (Proposed) Final Pretrial Conference Order)(Petrocelli, Daniel)
December 19, 2011 Filing 225 PRETRIAL STIPULATION regarding Exhibits. (Petrocelli, Daniel)
December 15, 2011 Filing 224 NOTICE OF LODGING filed / Chronology of Events re Status Conference, Set/Reset Hearing,, 220 (Attachments: # 1 Chronology of Events)(Petrocelli, Daniel)
December 14, 2011 Opinion or Order Filing 223 MINUTE ORDER IN CHAMBERS by Judge A. Howard Matz: NBC and NBC Universal, Inc. are not parties to this case, but at the recent hearing the Court permitted a lawyer for NBC to address the Court. (He asked the Court to urge the parties to resume their efforts to settle the dispute.) General Electric Company (GE) owns 49% of NBC Universal, Inc. The Court owns shares in G.E. Because NBC is not a party and GE owns only a minority interest in Universal, the Court is not required to self-recuse. Moreover, the Court is utterly certain that there is no basis to find the Court may have bias. But to avoid any questions, theCourt has made this disclosure. (se)
December 14, 2011 Filing 222 NOTICE OF FILING TRANSCRIPT filed for proceedings 11/30/11 1:30 pm (Nirenberg, Cindy)
December 14, 2011 Filing 221 TRANSCRIPT for proceedings held on 11/30/11 1:30 pm. Court Reporter: Cindy Nirenberg, www.cindynirenberg.com. Transcript may be viewed at the court public terminal or purchased through the Court Reporter before the deadline for Release of Transcript Restriction. After that date it may be obtained through the COURT REPORTER www.cindynirenberg.com or PACER. Notice of Intent to Redact due within 7 days of this date. Redaction Request due 1/4/2012. Redacted Transcript Deadline set for 1/14/2012. Release of Transcript Restriction set for 3/13/2012. (Nirenberg, Cindy)
November 30, 2011 Filing 220 MINUTES OF Status Conference held before Judge A. Howard Matz: Bench Trial set for 1/24/2012 at 09:00 AM before Judge A. Howard Matz. A revised proposed pretrial conference order and a mutually agreed-upon revised chronology must be filed by December 14, 2011. Court orders the parties to meet and confer and arrange an additional mediation session with Judge Weinstein to be held no later than January 9, 2012.Court Reporter: Cindy Nirenberg. (se)
November 29, 2011 Filing 219 INITIAL ORDER FOLLOWING FILING OF COMPLAINT ASSIGNED TO JUDGE MATZ: Counsel for plaintiff shall serve this Order on all defendant and/or their counsel along with the summons and complaint, or if that is not practicable as soon as possible thereafter. If this case was assigned to this Court after being removed from State Court, the defendant who removed the case shall serve this Order on all other parties. This case has been assigned to the calendar of Judge A. Howard Matz (see document for further details). All documents which are required to be filed in an electronic format pursuant to General Order No. 10-07 must be filed electronically no later than midnight on the date due, unless otherwise ordered by the Court. Courtesy copies are required for all e-filed documents and must be delivered to the drop box in the entrance way to chambers, to the left of Courtroom 14, located at 312 N. Spring Street, Spring Street level, no later than noon the following business day. (jp)
November 14, 2011 Filing 218 STATUS REPORT / Joint Status Report filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Exhibit A to Joint Status Report, # 2 Exhibit B-1 to Joint Status Report, # 3 Exhibit B-2 to Joint Status Report, # 4 Exhibit C to Joint Status Report)(Petrocelli, Daniel)
October 11, 2011 Opinion or Order Filing 217 MINUTE ORDER IN CHAMBERS by Judge A. Howard Matz: The Court has too many scheduling conflicts (not just trials, but several of those). Therefore, an earlier status conference is not appropriate. At the November 30, 2011, status conference, the Court will explore a January 2012 trial date and will try to keep that possibility in mind. (se)
October 6, 2011 Opinion or Order Filing 216 MINUTE ORDER IN CHAMBERS by Judge A. Howard Matz: The Court hereby sets a Status Conference for 11/30/2011 at 1:30 PM., and Orders the parties to submit Joint Status Report by 11/14/2011. (jp)
October 6, 2011 Filing 215 RESPONSE filed by Plaintiff Hollywood Foreign Press Association /Response to Inquiry from the Court re: Status Conference (Petrocelli, Daniel)
September 8, 2011 Filing 214 NOTICE OF REASSIGNMENT OF CASE due to Unavailability of Judicial Officer filed. The previously assigned District Judge is no longer available. Pursuant to directive of the Chief District Judge and in accordance with the rules of this Court, the case has been returned to the Clerk for reassignment. This case has been reassigned to Judge A. Howard Matz for all further proceedings. Case number will now read CV 10-08833 AHM(FMOx). (rn)
September 2, 2011 Filing 213 MINUTES OF Telephonic Status Conference held before Judge Percy Anderson: Court and counsel confer concerning status of the case. The matter shall be reassigned to a new US District Judge and the trial shall be rescheduled accordingly. The Court shall notify counsel as soon as the action has been reassigned. Court Reporter: Leandra Amber. (jp)
September 1, 2011 Filing 212 MINUTES OF Telephonic Status Conference held before Judge Valerie Baker Fairbank. Court Reporter: Katherine Stride. Counsel's request for Mr. Moonves to testify via video conference is granted. (kbr)
August 30, 2011 Opinion or Order Filing 211 MINUTE ORDER IN CHAMBERS by Judge Valerie Baker Fairbank. The Court hereby sets a Telephonic Status Conference for September 1, 2011, at 9:30 a.m. The Courtroom Deputy Clerk shall contact the parties at the phone numbers designated by the parties. The parties shall be available no later than 9:15 a.m. to receive the Court's call. (kbr)
August 29, 2011 Opinion or Order Filing 210 MINUTES (IN CHAMBERS): ORDER by Judge Valerie Baker Fairbank. The Court GRANTS IN PART Defendants' Motion for Reconsideration, finding triable issues as to whether the statute of limitations bars HFPA's excess-of-authority claim 187 . (kbr)
August 29, 2011 Filing 208 NOTICE OF FILING TRANSCRIPT filed for proceedings 8/25/11, 9:30 AM (Adams, Rosalyn)
August 29, 2011 Filing 207 TRANSCRIPT for proceedings held on 8/25/11, 9:30 AM. Court Reporter/Electronic Court Recorder: ROSALYN ADAMS, phone number rosalyn.adams494@gmail.com. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Electronic Court Recorder before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Notice of Intent to Redact due within 7 days of this date. Redaction Request due 9/19/2011. Redacted Transcript Deadline set for 9/29/2011. Release of Transcript Restriction set for 11/27/2011. (Adams, Rosalyn)
August 25, 2011 Filing 209 MINUTES OF Final Pretrial Conference held before Judge Valerie Baker Fairbank. See document for rulings on Motions in Limine. The Court ordered that no trial proceedings would take place on Tuesday, September 20, 2011. See the hearing transcript 207 for further findings made by the Court. Court Reporter: Rosalyn Adams. (kbr)
August 23, 2011 Filing 206 REPLY Reply MOTION for Reconsideration re Order on Motion for Summary Judgment 181 MOTION for Reconsideration re Order on Motion for Summary Judgment 181 187 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Katz, Martin)
August 22, 2011 Filing 205 MEMORANDUM in Opposition to MOTION for Reconsideration re Order on Motion for Summary Judgment 181 MOTION for Reconsideration re Order on Motion for Summary Judgment 181 187 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 19, 2011 Filing 203 PRETRIAL STIPULATION regarding Exhibits / Revised Final Pre-Trial Exhibit Stipulation. (Petrocelli, Daniel)
August 18, 2011 Opinion or Order Filing 204 ORDER by Judge Valerie Baker Fairbank, re Bench Trial on Phase I Issues and Continuance of Trial Date 191 . In light of the stipulation of the parties and their counsel, Phase I issues only, as those issues are defined in the Court's "Order Regarding Bifurcation of Issues, Phase I Discovery And Scheduling," Dkt. No. 38 , at Item 1, will be tried without a jury. Further, in light of the stipulation of the parties and the Court's Order continuing the trial date to 9/6/2011 (Dkt. No. 186 ), compliance with all trial subpoenas previously served shall be continued to 9/6/2011 at 9:00 AM. Counsel shall meet and confer in an attempt to reach reasonable "on call" agreements for all trial witnesses. Except for continuing the compliance date to 9/6/2011, nothing in this order waives any objection of any party or witness to any trial subpoena. (jp)
August 18, 2011 Filing 202 NOTICE OF LODGING Proposed Pretrial Conference Order Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Proposed Order)(Petrocelli, Daniel)
August 18, 2011 Filing 201 Final PRETRIAL STIPULATION regarding Exhibits. (Petrocelli, Daniel)
August 18, 2011 Filing 200 STATEMENT / Joint Statement Regarding Settlement Negotiations filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association (Petrocelli, Daniel)
August 18, 2011 Opinion or Order Filing 199 MINUTES (IN CHAMBERS): ORDER by Judge Valerie Baker Fairbank. On the merits, Plaintiff's Motion 194 has not sufficiently shown good cause to reopen discovery for the purpose of deposing Mirjana Van Blaricom. Accordingly, Plaintiff's Motion to Reopen Discovery is DENIED. Plaintiff has not adequately shown grounds for ex parte relief. Accordingly, Plaintiff's Ex Parte Application is DENIED. (kbr)
August 17, 2011 Filing 198 OPPOSITION opposition re: EX PARTE APPLICATION for Order for Shortening Time On Plaintiff's Motion To Reopen Discovery For The Limited Purpose Of Deposing Mirjana Van Blaricom 195 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Attachments: # 1 Declaration, # 2 Exhibit A-C)(Katz, Martin)
August 17, 2011 Opinion or Order Filing 197 ORDER by Judge Valerie Baker Fairbank GRANTING Ex Parte Application to Shorten Time for Hearing 188 . The Court will hear Defendants' Motion for Reconsideration 187 on August 25, 2011 at 9:30 a.m. (kbr)
August 17, 2011 Filing 196 DECLARATION of Robin M. Wall in support of MOTION to Compel to Reopen Discovery 194 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Exhibits A-H to Wall Declaration)(Petrocelli, Daniel)
August 16, 2011 Filing 195 EX PARTE APPLICATION for Order for Shortening Time On Plaintiff's Motion To Reopen Discovery For The Limited Purpose Of Deposing Mirjana Van Blaricom filed by Plaintiff and Cross Defendant Hollywood Foreign Press Association. (Attachments: # 1 Declaration Of D. Marroso In Support, # 2 Exhibit A, # 3 Proposed Order)(Smith, Linda)
August 16, 2011 Filing 194 NOTICE OF MOTION AND MOTION to Compel to Reopen Discovery filed by plaintiff and counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 9/19/2011 at 01:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order)(Petrocelli, Daniel)
August 16, 2011 Filing 193 Witness List filed by plaintiff Hollywood Foreign Press Association.. (Smith, Linda)
August 16, 2011 Filing 192 OPPOSITION re: EX PARTE APPLICATION to Shorten Time for Hearing to August 29, 2011 on Defendants Motion for Reconsideration 188 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 16, 2011 Filing 191 Joint STIPULATION to Waive Jury Trial on Phase I issues filed by Defendant Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Attachments: # 1 Proposed Order)(Phillips, Bradley)
August 16, 2011 Filing 190 NOTICE of Appearance filed by attorney Peter E Gratzinger on behalf of Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc. (Gratzinger, Peter)
August 16, 2011 Filing 189 NOTICE of Appearance filed by attorney Soraya C Kelly on behalf of Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc. (Kelly, Soraya)
August 15, 2011 Filing 188 EX PARTE APPLICATION to Shorten Time for Hearing to August 29, 2011 on Defendants Motion for Reconsideration filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Attachments: # 1 Declaration, # 2 Exhibit, # 3 Proposed Order)(Katz, Martin)
August 15, 2011 Filing 187 NOTICE OF MOTION AND MOTION for Reconsideration re Order on Motion for Summary Judgment 181 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. Motion set for hearing on 9/12/2011 at 01:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order Proposed Order)(Katz, Martin)
August 12, 2011 Filing 186 MINUTES OF Telephonic Status Conference held before Judge Valerie Baker Fairbank: Further, the parties request a one week continuance of the trial date, from 8/30/2011, to 9/6/2011. As more fully reflected on the record, the Court grants the parties' request to continue. The Bench Trial shall commence on 9/6/2011 at 9:00 AM.Court and Counsel further confer regarding trial days and other matters to be further discussed at the scheduled Final Pretrial Conference. As more fully reflected on the record, the Final Pretrial Conference from 8/22/2011 at 2:30 PM., to 8/25/2011 at 9:30 AM. Additionally, Findings of Fact and Conclusions of Law shall be due after the end of the bench trial, on a date to be determined. Court Reporter: Katherine Stride. (jp) Modified on 8/17/2011 (jp).
August 12, 2011 Filing 185 NOTICE OF LODGING filed Deposition Transcripts and Index Pursuant To Local Rules 16.2-7 and 32-1 re MOTION IN LIMINE (# 6) to Preclude Purported Expert Testimony of David Tenzer MOTION IN LIMINE (# 6) to Preclude Purported Expert Testimony of David Tenzer 127 , MOTION IN LIMINE (# 4) to Preclude Testimony of Eric Weissmann MOTION IN LIMINE (# 4) to Preclude Testimony of Eric Weissmann 124 , MOTION IN LIMINE (# 1) to Exclude Evidence and Argument that Contradicts HFPA's Judicial Admissions MOTION IN LIMINE (# 1) to Exclude Evidence and Argument that Contradicts HFPA's Judicial Admissions 120 , MOTION IN LIMINE (# 5) to Preclude Testimony of Leslie Moonves MOTION IN LIMINE (# 5) to Preclude Testimony of Leslie Moonves 125 , MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina 122 , MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. 123 (Cachan, Manuel)
August 12, 2011 Opinion or Order Filing 184 MINUTE ORDER IN CHAMBERS by Judge Valerie Baker Fairbank. At the parties request, the Court hereby sets a Telephonic Status Conference for August 12, 2011. The Courtroom Deputy Clerk shall contact the parties at the phone numbers designated. The parties shall be available no later than 2:35 p.m. to receive the Court's call. (kbr)
August 12, 2011 Filing 183 NOTICE OF LODGING filed / Plaintiff Hollywood Foreign Press Association's Notice of Lodging of Deposition Transcripts and Index in Preparation of Motion in Limine Hearing Pursuant to Local Rules 32-1 and 16-2.7 re MOTION IN LIMINE (#1) to Exclude Evidence and Argument Regarding Certain Testimony of Joel Behr MOTION IN LIMINE (#1) to Exclude Evidence and Argument Regarding Certain Testimony of Joel Behr 115 , MOTION IN LIMINE ( #8 ) to Exclude Evidence and Argument Regarding Privileged Communications Between Mirjana Van Blaricom and HFPA Legal Counsel MOTION IN LIMINE ( #8 ) to Exclude Evidence and Argument Regarding Privileged Communications Between Mirjana Van Blaricom and HFPA Legal Counsel 130 , MOTION IN LIMINE ( #6 ) to Exclude Evidence and Argument Regarding 1982 Rumors of Scandal Involving the HFPA MOTION IN LIMINE ( #6 ) to Exclude Evidence and Argument Regarding 1982 Rumors of Scandal Involving the HFPA 119 , MOTION IN LIMINE (#2) to Exclude Evidence and Argument of Alleged Statements of Robert B. Yoshitomi Regarding the Meaning of the 1993 Amendment MOTION IN LIMINE (#2) to Exclude Evidence and Argument of Alleged Statements of Robert B. Yoshitomi Regarding the Meaning of the 1993 Amendment 116 , MOTION IN LIMINE ( #7 ) to Limit the Number of HFPA Members Called As Trial Witnesses MOTION IN LIMINE ( #7 ) to Limit the Number of HFPA Members Called As Trial Witnesses 121 , MOTION IN LIMINE (#4) to Exclude Evidence and Argument Regarding Compromise Discussions MOTION IN LIMINE (#4) to Exclude Evidence and Argument Regarding Compromise Discussions 117 , MOTION IN LIMINE ( #5 ) to Exclude Evidence and Argument Regarding the December 10, 2002 Transcript MOTION IN LIMINE ( #5 ) to Exclude Evidence and Argument Regarding the December 10, 2002 Transcript 118 , MOTION IN LIMINE ( #3 ) to Exclude Evidence and Argument Regarding Certain Hearsay Statements MOTION IN LIMINE ( #3 ) to Exclude Evidence and Argument Regarding Certain Hearsay Statements 129 (Attachments: # 1 Index of Deposition Transcripts)(Petrocelli, Daniel)
August 8, 2011 Opinion or Order Filing 182 MINUTES (IN CHAMBERS): ORDER by Judge Valerie Baker Fairbank: granting in part and denying in part 78 Motion for Summary Judgment. (se)
August 8, 2011 Opinion or Order Filing 181 MINUTES (IN CHAMBERS): ORDER by Judge Valerie Baker Fairbank: granting in part and denying in part 87 Motion for Summary Judgment. (se)
August 8, 2011 Filing 180 REPLY in support MOTION IN LIMINE ( #8 ) to Exclude Evidence and Argument Regarding Privileged Communications Between Mirjana Van Blaricom and HFPA Legal Counsel MOTION IN LIMINE ( #8 ) to Exclude Evidence and Argument Regarding Privileged Communications Between Mirjana Van Blaricom and HFPA Legal Counsel 130 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Declaration of Laura E. Perry in Support of Reply, # 2 Exhibits A-D to Perry Declaration)(Petrocelli, Daniel)
August 8, 2011 Filing 179 REPLY in support MOTION IN LIMINE ( #7 ) to Limit the Number of HFPA Members Called As Trial Witnesses MOTION IN LIMINE ( #7 ) to Limit the Number of HFPA Members Called As Trial Witnesses 121 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 8, 2011 Filing 178 REPLY in support MOTION IN LIMINE (#4) to Exclude Evidence and Argument Regarding Compromise Discussions MOTION IN LIMINE (#4) to Exclude Evidence and Argument Regarding Compromise Discussions 117 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Declaration of Chantal Dinnage in Support of Reply, # 2 Exhibits A-B to Dinnage Declaration)(Petrocelli, Daniel)
August 8, 2011 Filing 177 REPLY in support MOTION IN LIMINE ( #6 ) to Exclude Evidence and Argument Regarding 1982 Rumors of Scandal Involving the HFPA MOTION IN LIMINE ( #6 ) to Exclude Evidence and Argument Regarding 1982 Rumors of Scandal Involving the HFPA 119 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 8, 2011 Filing 176 REPLY in support MOTION IN LIMINE ( #5 ) to Exclude Evidence and Argument Regarding the December 10, 2002 Transcript MOTION IN LIMINE ( #5 ) to Exclude Evidence and Argument Regarding the December 10, 2002 Transcript 118 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 8, 2011 Filing 175 REPLY in support MOTION IN LIMINE ( #3 ) to Exclude Evidence and Argument Regarding Certain Hearsay Statements MOTION IN LIMINE ( #3 ) to Exclude Evidence and Argument Regarding Certain Hearsay Statements 129 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 8, 2011 Filing 174 REPLY in support MOTION IN LIMINE (#2) to Exclude Evidence and Argument of Alleged Statements of Robert B. Yoshitomi Regarding the Meaning of the 1993 Amendment MOTION IN LIMINE (#2) to Exclude Evidence and Argument of Alleged Statements of Robert B. Yoshitomi Regarding the Meaning of the 1993 Amendment 116 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Marroso, David)
August 8, 2011 Filing 173 REPLY in support MOTION IN LIMINE (#1) to Exclude Evidence and Argument Regarding Certain Testimony of Joel Behr MOTION IN LIMINE (#1) to Exclude Evidence and Argument Regarding Certain Testimony of Joel Behr 115 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Marroso, David)
August 8, 2011 Filing 172 REPLY in support of MOTION IN LIMINE (# 6) to Preclude Purported Expert Testimony of David Tenzer MOTION IN LIMINE (# 6) to Preclude Purported Expert Testimony of David Tenzer 127 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 8, 2011 Filing 171 REPLY in support of MOTION IN LIMINE (# 5) to Preclude Testimony of Leslie Moonves MOTION IN LIMINE (# 5) to Preclude Testimony of Leslie Moonves 125 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 8, 2011 Filing 170 REPLY in support of MOTION IN LIMINE (# 4) to Preclude Testimony of Eric Weissmann MOTION IN LIMINE (# 4) to Preclude Testimony of Eric Weissmann 124 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Attachments: # 1 Declaration of Soraya C. Kelly, # 2 Exhibits A and B, # 3 Exhibit C)(Cachan, Manuel)
August 8, 2011 Filing 169 REPLY in support of MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. 123 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 8, 2011 Filing 168 REPLY in support of MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina 122 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 8, 2011 Filing 167 REPLY in support of MOTION IN LIMINE (# 1) to Exclude Evidence and Argument that Contradicts HFPA's Judicial Admissions MOTION IN LIMINE (# 1) to Exclude Evidence and Argument that Contradicts HFPA's Judicial Admissions 120 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 7, 2011 Filing 166 TRANSCRIPT for proceedings held on 8/02/11, 9:30 AM. Court Reporter/Electronic Court Recorder: ROSALYN ADAMS, phone number rosalyn.adams494@gmail.com. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Electronic Court Recorder before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Notice of Intent to Redact due within 7 days of this date. Redaction Request due 8/28/2011. Redacted Transcript Deadline set for 9/7/2011. Release of Transcript Restriction set for 11/5/2011. (Adams, Rosalyn)
August 4, 2011 Filing 165 NOTICE of Change of Attorney Information for attorney Jeslyn A Miller counsel for Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. Jeslyn A. Miller will no longer receive service of documents from the Clerks Office for the reason indicated in the G-06 Notice.Jeslyn A. Miller is no longer attorney of record for the aforementioned party in this case for the reason indicated in the G-06 Notice. Filed by Defendants and Counterclaimant Dick Clark Productions, Inc. and Red Zone Capital Partners II, L.P. (Miller, Jeslyn)
August 4, 2011 Filing 164 NOTICE OF ERRATA filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. correcting Memorandum of Contentions of Fact and Law 158 (Petrocelli, Daniel)
August 3, 2011 Filing 163 NOTICE OF ERRATA filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. correcting Objection/Opposition (Motion related), Objection/Opposition (Motion related), Objection/Opposition (Motion related) 133 (Cachan, Manuel)
August 2, 2011 Filing 162 MINUTES OF Motion Hearing held before Judge Valerie Baker Fairbank:taking under advisement 78 Motion for Summary Judgment; taking under advisement 87 Motion for Summary Judgment. Orders will issue.Court Reporter: Rosalyn Adams. (se)
August 2, 2011 Filing 161 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: Supplement PROPOSED) ORDERS 140 , 141], 142 , 143], 144 , and 145 . The following error(s) was found: Incorrect event selected. The correct event is: Notice (Other) - under Category - NOTICES. Other error(s) with document(s): This document tendered for the judge's approval should have been submitted as a separate PDF attachment to the Notice of Lodging and e-mailed to a Judge Fairbank generic email addresses a WordPerfect or Microsoft Word version of the document. In response to this notice the court may order (1) an amended or correct document to be filed (2) the document stricken or (3) take other action as the court deems appropriate. You need not take any action in response to this notice unless and until the court directs you to do so. (jp)
August 2, 2011 Filing 160 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: Supplement (PROPOSED) ORDER 139 . The following error(s) was found: Incorrect event selected. The correct event is: Notice (Other) - under Category - NOTICES. Other error(s) with document(s): This document tendered for the judge's approval should have been submitted as a separate PDF attachment to the Notice of Lodging and e-mailed to a Judge Fairbank generic email addresses a WordPerfect or Microsoft Word version of the document. In response to this notice the court may order (1) an amended or correct document to be filed (2) the document stricken or (3) take other action as the court deems appropriate. You need not take any action in response to this notice unless and until the court directs you to do so. (jp)
August 2, 2011 Filing 159 DECLARATION of Robin Wall in support of opposition MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina 122 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Exhibits 14-210 to Wall Declaration, # 2 Exhibit A to Wall Declaration, # 3 Exhibit B to Wall Declaration, # 4 Exhibit C to Wall Declaration, # 5 Exhibit D to Wall Declaration, # 6 Exhibit E to Wall Declaration, # 7 Exhibit F to Wall Declaration, # 8 Exhibit G to Wall Declaration, # 9 Exhibit H to Wall Declaration, # 10 Exhibit I to Wall Declaration, # 11 Exhibit J to Wall Declaration, # 12 Exhibit K to Wall Declaration 157 )(Petrocelli, Daniel)
August 1, 2011 Filing 158 MEMORANDUM of CONTENTIONS of FACT and LAW filed by plaintiff Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 1, 2011 Filing 157 OPPOSITION re: MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina 122 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 1, 2011 Filing 156 Witness List filed by plaintiff Hollywood Foreign Press Association.. (Petrocelli, Daniel)
August 1, 2011 Filing 155 JOINT Exhibit List filed by plaintiff Hollywood Foreign Press Association.. (Petrocelli, Daniel)
August 1, 2011 Filing 154 OPPOSITION re: MOTION IN LIMINE (# 1) to Exclude Evidence and Argument that Contradicts HFPA's Judicial Admissions MOTION IN LIMINE (# 1) to Exclude Evidence and Argument that Contradicts HFPA's Judicial Admissions 120 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 1, 2011 Filing 153 OPPOSITION re: MOTION IN LIMINE (# 6) to Preclude Purported Expert Testimony of David Tenzer MOTION IN LIMINE (# 6) to Preclude Purported Expert Testimony of David Tenzer 127 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Declaration of Charles P. Diamond in Support of Opposition, # 2 Exhibits 296 and A-B in Diamond Declaration)(Petrocelli, Daniel)
August 1, 2011 Filing 152 OPPOSITION re: MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. 123 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 1, 2011 Filing 151 MEMORANDUM of CONTENTIONS of FACT and LAW filed by DEFENDANTS' MEMORANDUM OF CONTENTIONS OF FACT AND LAW [LOCAL RULE 16-4] Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Cachan, Manuel)
August 1, 2011 Filing 150 OPPOSITION re: MOTION IN LIMINE (# 4) to Preclude Testimony of Eric Weissmann MOTION IN LIMINE (# 4) to Preclude Testimony of Eric Weissmann 124 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Petrocelli, Daniel)
August 1, 2011 Filing 149 OPPOSITION re: MOTION IN LIMINE (# 5) to Preclude Testimony of Leslie Moonves MOTION IN LIMINE (# 5) to Preclude Testimony of Leslie Moonves 125 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Declaration of Amy Lucas in Support of Opposition, # 2 Exhibits A-D to Lucas Declaration, # 3 Declaration of Joseph Calabrese in Support of Opposition, # 4 Exhibit A to Calabrese Declaration)(Petrocelli, Daniel)
August 1, 2011 Filing 148 Witness List filed by DEFENDANTS AND COUNTERCLAIMANT Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P... (Cachan, Manuel)
August 1, 2011 Filing 147 DECLARATION of SORAYA C. KELLY IN SUPPORT OF OPPOSITION TO HFPA'S MOTIONS IN LIMINE MOTION IN LIMINE (#1) to Exclude Evidence and Argument Regarding Certain Testimony of Joel Behr MOTION IN LIMINE (#1) to Exclude Evidence and Argument Regarding Certain Testimony of Joel Behr 115 , MOTION IN LIMINE ( #8 ) to Exclude Evidence and Argument Regarding Privileged Communications Between Mirjana Van Blaricom and HFPA Legal Counsel MOTION IN LIMINE ( #8 ) to Exclude Evidence and Argument Regarding Privileged Communications Between Mirjana Van Blaricom and HFPA Legal Counsel 130 , MOTION IN LIMINE ( #6 ) to Exclude Evidence and Argument Regarding 1982 Rumors of Scandal Involving the HFPA MOTION IN LIMINE ( #6 ) to Exclude Evidence and Argument Regarding 1982 Rumors of Scandal Involving the HFPA 119 , MOTION IN LIMINE (#2) to Exclude Evidence and Argument of Alleged Statements of Robert B. Yoshitomi Regarding the Meaning of the 1993 Amendment MOTION IN LIMINE (#2) to Exclude Evidence and Argument of Alleged Statements of Robert B. Yoshitomi Regarding the Meaning of the 1993 Amendment 116 , MOTION IN LIMINE ( #7 ) to Limit the Number of HFPA Members Called As Trial Witnesses MOTION IN LIMINE ( #7 ) to Limit the Number of HFPA Members Called As Trial Witnesses 121 , MOTION IN LIMINE (#4) to Exclude Evidence and Argument Regarding Compromise Discussions MOTION IN LIMINE (#4) to Exclude Evidence and Argument Regarding Compromise Discussions 117 , MOTION IN LIMINE ( #5 ) to Exclude Evidence and Argument Regarding the December 10, 2002 Transcript MOTION IN LIMINE ( #5 ) to Exclude Evidence and Argument Regarding the December 10, 2002 Transcript 118 , MOTION IN LIMINE ( #3 ) to Exclude Evidence and Argument Regarding Certain Hearsay Statements MOTION IN LIMINE ( #3 ) to Exclude Evidence and Argument Regarding Certain Hearsay Statements 129 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Attachments: # 1 Exhibit Exhibit 110 - Exhibit 120, # 2 Exhibit Exhibit 263 - Exhibit E, # 3 Exhibit Exhibit F - Exhibit I, # 4 Exhibit Exhibit J - Exhibit M)(Cachan, Manuel)
August 1, 2011 Filing 146 OPPOSITION TO MOTION IN LIMINE #8 OPPOSITION re: MOTION IN LIMINE ( #8 ) to Exclude Evidence and Argument Regarding Privileged Communications Between Mirjana Van Blaricom and HFPA Legal Counsel MOTION IN LIMINE ( #8 ) to Exclude Evidence and Argument Regarding Privileged Communications Between Mirjana Van Blaricom and HFPA Legal Counsel 130 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Attachments: # 1 Declaration DECLARATION OF MARTIN D. KATZ IN SUPPORT OF DEFENDANTS OPPOSITION TO PLAINTIFFS MOTION IN LIMINE NO. 8, # 2 Proposed Order)(Cachan, Manuel)
August 1, 2011 Filing 145 SUPPLEMENT [PROPOSED] ORDER DENYING HFPA'S MOTION IN LIMINE NO. 7 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 144 SUPPLEMENT [PROPOSED] ORDER DENYING HFPA'S MOTION IN LIMINE NO. 6 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 143 SUPPLEMENT [PROPOSED] ORDER DENYING HFPA'S MOTION IN LIMINE NO. 5 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 142 SUPPLEMENT [PROPOSED] ORDER DENYING HFPA'S MOTION IN LIMINE NO. 4 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 141 SUPPLEMENT [PROPOSED] ORDER DENYING HFPA'S MOTION IN LIMINE NO. 3 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 140 SUPPLEMENT [PROPOSED] ORDER DENYING HFPA'S MOTION IN LIMINE NO. 2 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 139 SUPPLEMENT [PROPOSED] ORDER DENYING HFPA'S MOTION IN LIMINE NO. 1 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Opinion or Order Filing 138 MINUTE ORDER IN CHAMBERS by Judge Valerie Baker Fairbank: COURT ORDER RE ORAL ARGUMENT ON MOTIONS FOR SUMMARY JUDGMENT. The Court will hear oral argument on the parties' motions for summary judgment on Tuesday morning, August 2, 2011, commencing at 9:30 a.m. As previously stated, counsel should be prepared to cite material facts and specific evidence, including exhibits, declarations, etc. and display them on the electronic monitor or other such device. See document for further information. (jre)
August 1, 2011 Filing 137 OPPOSITION TO MOTION IN LIMINE #7 OPPOSITION re: MOTION IN LIMINE ( #7 ) to Limit the Number of HFPA Members Called As Trial Witnesses MOTION IN LIMINE ( #7 ) to Limit the Number of HFPA Members Called As Trial Witnesses 121 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 136 OPPOSITION TO MOTION IN LIMINE #6 OPPOSITION re: MOTION IN LIMINE ( #6 ) to Exclude Evidence and Argument Regarding 1982 Rumors of Scandal Involving the HFPA MOTION IN LIMINE ( #6 ) to Exclude Evidence and Argument Regarding 1982 Rumors of Scandal Involving the HFPA 119 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 135 OPPOSITION TO MOTION IN LIMINE #5 OPPOSITION re: MOTION IN LIMINE ( #5 ) to Exclude Evidence and Argument Regarding the December 10, 2002 Transcript MOTION IN LIMINE ( #5 ) to Exclude Evidence and Argument Regarding the December 10, 2002 Transcript 118 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 134 OPPOSITIION TO MOTION IN LIMINE #4 OPPOSITION re: MOTION IN LIMINE (#4) to Exclude Evidence and Argument Regarding Compromise Discussions MOTION IN LIMINE (#4) to Exclude Evidence and Argument Regarding Compromise Discussions 117 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 133 OPPOSITION TO MOTION IN LIMINE #3 OPPOSITION re: MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. 123 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 132 OPPOSITION TO MOTION IN LIMINE #2 OPPOSITION re: MOTION IN LIMINE (#2) to Exclude Evidence and Argument of Alleged Statements of Robert B. Yoshitomi Regarding the Meaning of the 1993 Amendment MOTION IN LIMINE (#2) to Exclude Evidence and Argument of Alleged Statements of Robert B. Yoshitomi Regarding the Meaning of the 1993 Amendment 116 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
August 1, 2011 Filing 131 OPPOSITION TO MOTION IN LIMINE OPPOSITION re: MOTION IN LIMINE (#1) to Exclude Evidence and Argument Regarding Certain Testimony of Joel Behr MOTION IN LIMINE (#1) to Exclude Evidence and Argument Regarding Certain Testimony of Joel Behr 115 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., Counter Claimant Dick Clark Productions, Inc.. (Cachan, Manuel)
July 25, 2011 Filing 130 NOTICE OF MOTION AND MOTION IN LIMINE ( #8 ) to Exclude Evidence and Argument Regarding Privileged Communications Between Mirjana Van Blaricom and HFPA Legal Counsel filed by plaintiff and counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Declaration of David Marroso in Support of Motion, # 2 Exhibit 1 to Marroso Declaration, # 3 Proposed Order)(Petrocelli, Daniel)
July 25, 2011 Filing 129 NOTICE OF MOTION AND MOTION IN LIMINE ( #3 ) to Exclude Evidence and Argument Regarding Certain Hearsay Statements filed by plaintiff and counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Declaration of David Marroso in Support of Motion, # 2 Exhibits 70-542 and A-B to Marroso Declaration, # 3 Proposed Order)(Petrocelli, Daniel) Modified on 7/26/2011 (kbr).
July 25, 2011 Filing 128 DECLARATION of Jeslyn A. Miller re MOTION IN LIMINE (# 6) to Preclude Purported Expert Testimony of David Tenzer MOTION IN LIMINE (# 6) to Preclude Purported Expert Testimony of David Tenzer 127 , MOTION IN LIMINE (# 4) to Preclude Testimony of Eric Weissmann MOTION IN LIMINE (# 4) to Preclude Testimony of Eric Weissmann 124 , MOTION IN LIMINE (# 1) to Exclude Evidence and Argument that Contradicts HFPA's Judicial Admissions MOTION IN LIMINE (# 1) to Exclude Evidence and Argument that Contradicts HFPA's Judicial Admissions 120 , MOTION IN LIMINE (# 5) to Preclude Testimony of Leslie Moonves MOTION IN LIMINE (# 5) to Preclude Testimony of Leslie Moonves 125 , MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina 122 , MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. 123 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Attachments: # 1 Exhibit A, # 2 Exhibit B-C, # 3 Exhibit D-E, # 4 Exhibit F-L)(Miller, Jeslyn)
July 25, 2011 Filing 127 NOTICE OF MOTION AND MOTION IN LIMINE (# 6) to Preclude Purported Expert Testimony of David Tenzer filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order)(Miller, Jeslyn)
July 25, 2011 Filing 126 RESPONSE filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Associationto Objection/Opposition (Motion related), Objection/Opposition (Motion related) 104 , Objection/Opposition (Motion related), Objection/Opposition (Motion related) 103 , Objection/Opposition (Motion related), Objection/Opposition (Motion related) 105 / Plaintiff's Responses To Defendants' Memorandum Of Objections To The Declarations Of David Tenzer And Eric Weissmann, And Other Evidentiary Objections (Attachments: # 1 Declaration Of Charles Diamond In Support, # 2 Exhibit A - To C. Diamond Declaration, # 3 Exhibit B - To C. Diamond Declaration)(Smith, Linda)
July 25, 2011 Filing 125 NOTICE OF MOTION AND MOTION IN LIMINE (# 5) to Preclude Testimony of Leslie Moonves filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order)(Miller, Jeslyn)
July 25, 2011 Filing 124 NOTICE OF MOTION AND MOTION IN LIMINE (# 4) to Preclude Testimony of Eric Weissmann filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order)(Miller, Jeslyn)
July 25, 2011 Filing 123 NOTICE OF MOTION AND MOTION IN LIMINE (# 3) to Exclude Evidence and Argument Regarding Payments to Mirjana Van Blaricom by dick clark productions, inc. filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order)(Miller, Jeslyn)
July 25, 2011 Filing 122 NOTICE OF MOTION AND MOTION IN LIMINE (# 2) to Exclude Evidence and Argument Regarding Potential Liability of Francis C. La Maina filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order)(Miller, Jeslyn)
July 25, 2011 Filing 121 NOTICE OF MOTION AND MOTION IN LIMINE ( #7 ) to Limit the Number of HFPA Members Called As Trial Witnesses filed by plaintiff and counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Declaration of Chantal Dinnage in Support of Motion, # 2 Declaration of Amy Lucas in Support of Motion, # 3 Exhibits A-D to Lucas Declaration, # 4 Proposed Order)(Petrocelli, Daniel)
July 25, 2011 Filing 120 NOTICE OF MOTION AND MOTION IN LIMINE (# 1) to Exclude Evidence and Argument that Contradicts HFPA's Judicial Admissions filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order)(Miller, Jeslyn)
July 25, 2011 Filing 119 NOTICE OF MOTION AND MOTION IN LIMINE ( #6 ) to Exclude Evidence and Argument Regarding 1982 Rumors of Scandal Involving the HFPA filed by plaintiff and counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Declaration of David Marroso in Support of Motion, # 2 Exhibits 201 and A-E to Marroso Declaration, # 3 Proposed Order)(Petrocelli, Daniel)
July 25, 2011 Filing 118 NOTICE OF MOTION AND MOTION IN LIMINE ( #5 ) to Exclude Evidence and Argument Regarding the December 10, 2002 Transcript filed by plaintiff and counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Declaration of David Marroso in Support of Motion, # 2 Exhibits 70 and A to Marroso Declaration, # 3 Proposed Order)(Petrocelli, Daniel)
July 25, 2011 Filing 117 NOTICE OF MOTION AND MOTION IN LIMINE (#4) to Exclude Evidence and Argument Regarding Compromise Discussions filed by plaintiff and counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Declaration of David Marroso in Support of Motion, # 2 Exhibits 118-258 and A-C to Marroso Declaration, # 3 Proposed Order)(Petrocelli, Daniel)
July 25, 2011 Filing 116 NOTICE OF MOTION AND MOTION IN LIMINE (#2) to Exclude Evidence and Argument of Alleged Statements of Robert B. Yoshitomi Regarding the Meaning of the 1993 Amendment filed by plaintiff and counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Declaration of David Marroso in Support of Motion, # 2 Exhibits 4-136 and A-B to Marroso Declaration, # 3 Proposed Order)(Petrocelli, Daniel)
July 25, 2011 Filing 115 NOTICE OF MOTION AND MOTION IN LIMINE (#1) to Exclude Evidence and Argument Regarding Certain Testimony of Joel Behr filed by plaintiff and counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 8/22/2011 at 02:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Declaration of Alan Radar in Support of Motion, # 2 Exhibits 1-2 to Radar Declaration, # 3 Proposed Order)(Petrocelli, Daniel)
July 22, 2011 Filing 114 NOTICE OF LODGING filed re MOTION for Summary Judgment as to Phase I Issues 78 (Gratzinger, Peter)
July 22, 2011 Filing 113 NOTICE OF LODGING filed Depostion Transcripts and Index re MOTION for Summary Judgment as to Phase I Issues 78 (Cachan, Manuel)
July 22, 2011 Opinion or Order Filing 112 MINUTE ORDER IN CHAMBERS by Judge Valerie Baker Fairbank. the Court hereby CONTINUES the hearing on Defendants Dick Clark Productions Inc., Red Zone Capital Partners II, LP, Redzone Capital GP, LLC, and Red Zone Capital Management Company, LLC's Motion for Summary Judgment 78 and Plaintiff Hollywood Foreign Press Association's Motion for Summary Judgment on Phase One 87 from August 1, 2011, at 1:30 p.m. to August 2, 2011, at 9:30 a.m. (kbr)
July 22, 2011 Filing 111 NOTICE OF LODGING filed / Plaintiff Hollywood Foreign Press Association's Notice of Lodging of Deposition Transcripts and Index Pursuant to Local Rules 32-1 and 16-2.7 re MOTION for Summary Judgment as to Phase One 87 (Lucas, Amy)
July 20, 2011 Filing 110 NOTICE OF ERRATA filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. correcting Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related) 109 / Notice of Errata Re: Exhibit 193 to Diamond Declaration in Support of Hollywood Foreign Press Association's Opposition to Defendants' Phase 1 Motion for Summary Judgment (Attachments: # 1 Exhibit 193 to Notice of Errata)(Lucas, Amy)
July 18, 2011 Filing 109 DECLARATION of Charles P. Diamond in support of MOTION for Summary Judgment as to Phase One 87 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Exhibit 014 to Diamond Declaration, # 2 Exhibit 048 to Diamond Declaration, # 3 Exhibit 050 to Diamond Declaration, # 4 Exhibit 051 to Diamond Declaration, # 5 Exhibit 057 to Diamond Declaration, # 6 Exhibit 059 to Diamond Declaration, # 7 Exhibit 066 to Diamond Declaration, # 8 Exhibit 067 to Diamond Declaration, # 9 Exhibit 068 to Diamond Declaration, # 10 Exhibit 070 to Diamond Declaration, # 11 Exhibit 074 to Diamond Declaration, # 12 Exhibit 075 to Diamond Declaration, # 13 Exhibit 076 to Diamond Declaration, # 14 Exhibit 105 to Diamond Declaration, # 15 Exhibit 106 to Diamond Declaration, # 16 Exhibit 142 to Diamond Declaration, # 17 Exhibit 157 to Diamond Declaration, # 18 Exhibit 160 to Diamond Declaration, # 19 Exhibit 161 to Diamond Declaration, # 20 Exhibit 179 to Diamond Declaration, # 21 Exhibit 189 to Diamond Declaration, # 22 Exhibit 192 to Diamond Declaration, # 23 Exhibit 196 to Diamond Declaration, # 24 Exhibit 263 to Diamond Declaration, # 25 Exhibit 270 to Diamond Declaration, # 26 Exhibit 271 to Diamond Declaration, # 27 Exhibit 272 to Diamond Declaration, # 28 Exhibit K to Diamond Declaration, # 29 Exhibit L to Diamond Declaration, # 30 Exhibit M to Diamond Declaration, # 31 Exhibit N to Diamond Declaration, # 32 Exhibit O to Diamond Declaration, # 33 Exhibit P to Diamond Declaration, # 34 Exhibit Q to Diamond Declaration, # 35 Exhibit R to Diamond Declaration, # 36 Exhibit S to Diamond Declaration, # 37 Exhibit T to Diamond Declaration, # 38 Exhibit U to Diamond Declaration, # 39 Exhibit V to Diamond Declaration, # 40 Exhibit W to Diamond Declaration, # 41 Exhibit X to Diamond Declaration, # 42 Exhibit Y to Diamond Declaration, # 43 Exhibit Z to Diamond Declaration, # 44 Exhibit AA to Diamond Declaration, # 45 Exhibit BB to Diamond Declaration, # 46 Exhibit CC to Diamond Declaration, # 47 Exhibit DD to Diamond Declaration, # 48 Exhibit EE to Diamond Declaration, # 49 Exhibit FF to Diamond Declaration, # 50 Exhibit GG to Diamond Declaration, # 51 Exhibit HH to Diamond Declaration, # 52 Exhibit II to Diamond Declaration, # 53 Exhibit JJ to Diamond Declaration, # 54 Exhibit KK to Diamond Declaration, # 55 Exhibit LL to Diamond Declaration, # 56 Exhibit MM to Diamond Declaration, # 57 Exhibit NN to Diamond Declaration, # 58 Exhibit OO to Diamond Declaration, # 59 Exhibit PP to Diamond Declaration, # 60 Exhibit QQ to Diamond Declaration, # 61 Exhibit RR to Diamond Declaration, # 62 Exhibit SS to Diamond Declaration, # 63 Exhibit TT to Diamond Declaration, # 64 Exhibit UU to Diamond Declaration, # 65 Exhibit VV to Diamond Declaration, # 66 Exhibit WW to Diamond Declaration, # 67 Exhibit XX to Diamond Declaration, # 68 Exhibit YY to Diamond Declaration, # 69 Exhibit ZZ to Diamond Declaration, # 70 Exhibit AAA to Diamond Declaration, # 71 Exhibit BBB to Diamond Declaration, # 72 Exhibit CCC to Diamond Declaration, # 73 Exhibit DDD to Diamond Declaration, # 74 Exhibit EEE to Diamond Declaration, # 75 Exhibit FFF to Diamond Declaration)(Smith, Linda)
July 18, 2011 Filing 108 REPLY in Support MOTION for Summary Judgment as to Phase One 87 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Supplemental Separate Statement of Uncontroverted Facts, # 2 Supplemental Chantal Dinnage Declaration in Support of Summary Judgment Reply Brief, # 3 Exhibits to Dinnage Declaration, # 4 Declaration of Eric Weissmann)(Smith, Linda)
July 18, 2011 Filing 107 DECLARATION re Reply (Motion related), Reply (Motion related) 101 of MARTIN D. KATZ filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Attachments: # 1 Exhibits A-D, # 2 Exhibits E-F, # 3 Exhibit G, # 4 Exhibit H pt.1, # 5 Exhibit H pt.2)(Phillips, Bradley)
July 18, 2011 Filing 106 RESPONSE filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.to MEMORANDUM in Opposition to Motion, 94 (Response to HFPA's Evidentiary Objections) (Phillips, Bradley)
July 18, 2011 Filing 105 OBJECTION to Evidence Cited by HFPA's Opposition re: MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
July 18, 2011 Filing 104 OBJECTION to Declaration of Eric Weissmann (including Exhibits) re: MOTION for Summary Judgment as to Phase One 87 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
July 18, 2011 Filing 103 Objection to Declaration of David Tenzer re: MOTION for Summary Judgment as to Phase One 87 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
July 18, 2011 Filing 102 STATEMENT of of Genuine Issues in Support of MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
July 18, 2011 Filing 101 REPLY In Support Of MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Attachments: # 1 Proposed Order)(Phillips, Bradley)
July 12, 2011 Filing 100 DECLARATION of Charles P. Diamond 93 MOTION for Summary Judgment as to Phase I Issues 78 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Exhibits, Part 1 of 5 to Diamond Declaration, # 2 Exhibits, Part 2 of 5 to Diamond Declaration, # 3 Exhibits, Part 2a of 5 to Diamond Declaration, # 4 Exhibits, Part 2b of 5 to Diamond Declaration, # 5 Exhibits Part 3 of 5 to Diamond Declaration, # 6 Exhibits, Part 4 of 5 to Diamond Declaration, # 7 Exhibits, Part 5 of 5 to Diamond Declaration, # 8 Exhibits A-H to Diamond Declaration, # 9 Exhibits I-M to Diamond Declaration, # 10 Exhibit N to Diamond Declaration, # 11 Exhibit O to Diamon Declaration, # 12 Exhibit P to Diamod Declaration, # 13 Exhibit Q to Diamond Declaration, # 14 Exhibit R to Diamond Declaration, # 15 Exhibit S to Diamond Declaration, # 16 Exhibit T to Diamond Declaration, # 17 Exhibit U to Diamond Declaration, # 18 Exhibit V to Diamond Declaration, # 19 Exhibit W to Diamond Declaration, # 20 Exhibit X to Diamond Declaration, # 21 Exhibit Y to Diamond Declaration 93 )(Smith, Linda)
July 12, 2011 Filing 99 DECLARATION of David Tenzer 93 MOTION for Summary Judgment as to Phase I Issues 78 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Smith, Linda)
July 12, 2011 Filing 98 DECLARATION of Chantel Dinnage 93 MOTION for Summary Judgment as to Phase I Issues 78 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Exhibits to Dinnage Declaration 93 )(Smith, Linda)
July 12, 2011 Filing 97 DECLARATION of Amy R. Lucas 93 MOTION for Summary Judgment as to Phase I Issues 78 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Exhibit A to Lucas Declaration 93 )(Smith, Linda)
July 12, 2011 Filing 96 STATEMENT of / Separate Statement of Genuine Issues of Material Fact 93 MOTION for Summary Judgment as to Phase I Issues 78 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Smith, Linda)
July 11, 2011 Filing 95 DECLARATION of Eric Weissmann 93 MOTION for Summary Judgment as to Phase I Issues 78 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Smith, Linda)
July 11, 2011 Filing 94 MEMORANDUM in Opposition / Memorandum of Objections To Evidence And Request To Depose Declarant Mirjana Van Blaricom 93 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Smith, Linda)
July 11, 2011 Filing 93 Opposition re: MOTION for Summary Judgment as to Phase I Issues 78 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Proposed Statement of Decision Denying Defendants' Phase One Motion For Summary Judgment, # 2 Proposed Order)(Smith, Linda)
July 11, 2011 Filing 92 DECLARATION of Peter E. Gratzinger re Objection/Opposition (Motion related), Objection/Opposition (Motion related) 88 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
July 11, 2011 Filing 91 DECLARATION of Francis C. La Maina re Objection/Opposition (Motion related), Objection/Opposition (Motion related) 88 [Supplemental Declaration] filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
July 11, 2011 Filing 90 EXHIBIT Filed filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. In Support of Defendants' Opposition to HFPA's Motion for Summary Judgment [Supplement to Compendium of Exhibits] as to Objection/Opposition (Motion related), Objection/Opposition (Motion related) 88 . (Attachments: # 1 Exhibits 1-263, # 2 Exhibits A-D, # 3 Exhibits E-F, # 4 Exhibits G-H, # 5 Exhibit I, # 6 Exhibit J)(Phillips, Bradley)
July 11, 2011 Filing 89 STATEMENT of of Genuine Issues of Material Fact in Opposition to HFPA's MOTION for Summary Judgment as to Phase One 87 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
July 11, 2011 Filing 88 OPPOSITION to HFPA's Motion for Summary Judgment re: MOTION for Summary Judgment as to Phase One 87 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Attachments: # 1 Statement of Decision, # 2 Proposed Order Denying HFPA's Motion for Summary Judgment)(Phillips, Bradley)
June 20, 2011 Filing 87 NOTICE OF MOTION AND MOTION for Summary Judgment as to Phase One filed by plaintiff and counter-defendant Hollywood Foreign Press Association. Motion set for hearing on 8/1/2011 at 01:30 pM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order, # 2 Declaration of Chantal Dinnage in Support of Motion, # 3 Exhibits A thru L to Dinnage Declaration, # 4 Exhibits M thru T to Dinnage Declaration, # 5 Declaration of Elaine C. Wells-Gilboa in Support of Motion, # 6 Declaration of Charles P. Diamond in Support of Motion, # 7 Exhibits A thru B to Diamond Declaration, # 8 Exhibit C, Part 1 of 2 to Diamond Declaration, # 9 Exhibit C, Part 2 of 2 to Diamond Declaration, # 10 Exhibits D thru G to Diamond Declaration, # 11 Exhibits H thru J to Diamond Declaration, # 12 Separate Statement of Uncontroverted Facts, # 13 Proposed Statement of Decision)(Smith, Linda) Modified on 6/24/2011 (kbr).
June 20, 2011 Filing 86 [Proposed] Statement of Decision re MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Miller, Jeslyn)
June 20, 2011 Filing 85 STATEMENT of Uncontroverted Facts and Conclusions of Law in Support of Defendants' MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Miller, Jeslyn)
June 20, 2011 Filing 84 EXHIBIT to MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Attachments: # 1 Exhibit 001-022, # 2 Exhibit 024-069, # 3 Exhibit 070-076, # 4 Exhibit 079-109, # 5 Exhibit 110-118, # 6 Exhibit 120-228, # 7 Exhibit 239-258, # 8 Exhibit A-E, # 9 Exhibit F, # 10 Exhibit G-J, # 11 Exhibit K-N)(Miller, Jeslyn)
June 20, 2011 Filing 83 DECLARATION of Jeslyn A. Miller In Support of MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Miller, Jeslyn)
June 20, 2011 Filing 82 DECLARATION of Mirjana Van Blaricom In Support of MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Miller, Jeslyn)
June 20, 2011 Filing 81 DECLARATION of Francis C. La Maina In Support of MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Miller, Jeslyn)
June 20, 2011 Filing 80 DECLARATION of Joel Behr In Support Of MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Miller, Jeslyn)
June 20, 2011 Filing 79 MEMORANDUM in Support of MOTION for Summary Judgment as to Phase I Issues 78 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. (Miller, Jeslyn)
June 20, 2011 Filing 78 NOTICE OF MOTION AND MOTION for Summary Judgment as to Phase I Issues filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P.. Motion set for hearing on 8/1/2011 at 01:30 PM before Judge Valerie Baker Fairbank. (Miller, Jeslyn)
May 20, 2011 Filing 77 AMENDED MINUTES OF Telephonic Conference re Trial Dates held before Judge Valerie Baker Fairbank: For the reasons stated on the record, the Court advances the Final Pretrial Conference and Trial by one week. Accordingly, the Final Pretrial Conference is now set for 8/22/2011 at 2:30 PM. and Trial is set to commence on 8/30/2011 at 8:30 AM. Court Reporter: Rosalyn Adams. (jp)
May 20, 2011 Filing 76 MINUTES OF Telephonic Conference re Trial Dates held before Judge Valerie Baker Fairbank: For the reasons stated on the record, the Court advances the Final Pretrial Conference and Trial by one week. Accordingly, the Final Pretrial Conference is now set for 8/22/2011 at 2:30 PM. and Trial is set to commence on 9/6/2011 at 8:30 AM. Court Reporter: Rosalyn Adams. (jp)
May 16, 2011 Opinion or Order Filing 75 ORDER SETTING DATE FOR DEPOSITION OF THIRD PARTY NBCUNIVERSAL by Judge Valerie Baker Fairbank, re Stipulation for Order 74 . Good cause being found, IT IS HEREBY ORDERED: The deposition of NBCUniversal may proceed on May 26, 2011, notwithstanding the non-expert discovery cutoff set for May 20, 2011. (kbr)
May 16, 2011 Filing 74 STIPULATION for Order for Six-Day Extension to Discovery Cut-Off to Accommodate Third-Party Witness filed by Plaintiff and Counter-defendants Hollywood Foreign Press Association. (Attachments: # 1 Proposed Order)(Smith, Linda)
May 12, 2011 Opinion or Order Filing 73 MINUTE ORDER IN CHAMBERS by Judge Valerie Baker Fairbank. With the agreement of Counsel, the Court hereby sets a Telephonic Conference Call for May 20, 2011, at 3:00 p.m. The Courtroom Deputy Clerk will contact counsel at that date and time. (kbr)
May 4, 2011 Filing 72 NOTICE OF FILING TRANSCRIPT filed for proceedings 1-31-11 8:45 a.m. (Montero, Bridget)
May 4, 2011 Filing 71 TRANSCRIPT for proceedings held on 1-31-11 8:45 a.m. Court Reporter/Electronic Court Recorder: Bridget Montero, phone number www.bridgetmontero.com. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Electronic Court Recorder before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter, www.bridgetmontero.com, or PACER. Notice of Intent to Redact due within 7 days of this date. Redaction Request due 5/25/2011. Redacted Transcript Deadline set for 6/4/2011. Release of Transcript Restriction set for 8/2/2011. (Montero, Bridget)
April 27, 2011 Opinion or Order Filing 70 STIPULATED PROTECTIVE ORDER AND ORDER RE: PRIVILEGE LOGS by Magistrate Judge Fernando M. Olguin re Stipulation for Protective Order 69 . (See document for details). ***Note Changes Made By The Court*** (mr)
April 25, 2011 Filing 69 Joint STIPULATION for Protective Order filed by plaintiff Hollywood Foreign Press Association. (Attachments: # 1 Proposed Order)(Smith, Linda)
April 21, 2011 Opinion or Order Filing 68 SCHEDULING AND CASE MANAGEMENT ORDER by Judge Valerie Baker Fairbank. (se)
April 18, 2011 Filing 67 ANSWER to Counterclaim, 53 / to DCP's Counterclaims For Declaratory Relief filed by plaintiff Hollywood Foreign Press Association.(Smith, Linda)
April 14, 2011 Filing 66 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: Service of Summons and Complaint Returned Executed (21 days) 64 . The following error(s) was found: Name of party served and code section (ie: FRCP) not indicated on Proof of Service. In response to this notice the court may order (1) an amended or correct document to be filed (2) the document stricken or (3) take other action as the court deems appropriate. You need not take any action in response to this notice unless and until the court directs you to do so. (kbr)
April 13, 2011 Opinion or Order Filing 65 ORDER RE: PARTIES' PROPOSED PROTECTIVE ORDER by Magistrate Judge Fernando M. Olguin, re Stipulation for Protective Order 63 . The court is unable to adopt the Protective Order as stipulated to by the parties. (See document for further details). (mr)
April 13, 2011 Filing 64 PROOF OF SERVICE Executed by Defendant Red Zone Capital GP LLC, Dick Clark Productions, Inc., Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P., upon Plaintiff Hollywood Foreign Press Association served on 3/28/2011, answer due 4/18/2011. Service of the Summons and Complaint were executed upon O'Melveny & Myers LLP in compliance with Federal Rules of Civil Procedure by substituted service at business address and by also mailing a copy. Original Summons returned. March 28, 2011 (Casazza, Kyle)
April 8, 2011 Filing 63 STIPULATION for Protective Order filed by plaintiff Hollywood Foreign Press Association. (Attachments: # 1 [Proposed] Stipulated Protective Order and Order Re: Privilege Logs)(Smith, Linda)
April 8, 2011 Filing 62 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: Proof of Service (subsequent documents) 58 . The following error(s) was found: Title page is missing. In response to this notice the court may order (1) an amended or correct document to be filed (2) the document stricken or (3) take other action as the court deems appropriate. You need not take any action in response to this notice unless and until the court directs you to do so. (kbr)
April 7, 2011 Filing 61 MINUTES (IN CHAMBERS) by Judge Valerie Baker Fairbank: COURT ORDER RE Plaintiff Ex Parte Application for an Order Shortening Time On Plaintiff Motion to Amend Bifurcation and Scheduling Order to Ensure Compliance with Phase I Discovery Deadlines 55 ; Proposed Motion 56 . The Court hereby DENIES the Application. Grounds for ex parte relief, including a true emergency not of Plaintiff creation and irreparable prejudice, have not adequately been shown. The Proposed Motion (dkt. 56) relies on the Application to set a hearing date. In light of the denial of the Application, the Court hereby removes the Proposed Motion (dkt. 56) from its calendar as moot. (jp)
April 7, 2011 Filing 60 DECLARATION OF JESLYN A. MILLER IN SUPPORT OF DEFENANTS' OPPOSITION TO EX PARTE APPLICATION to Shorten Time for Hearing , Defendants Opposition To, 59 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. (Cachan, Manuel) Modified on 4/8/2011 (kbr).
April 6, 2011 Filing 59 OPPOSITION TO EX PARTE APPLICATION to Shorten Time for Hearing , Defendants Opposition To, filed by Defendant Dick Clark Productions, Inc..(Cachan, Manuel) Modified on 4/7/2011 (kbr).
April 6, 2011 Filing 58 PROOF OF SERVICE filed by Plaintiff Hollywood Foreign Press Association, re Declaration (Motion related), Declaration (Motion related), Declaration (Motion related), Declaration (Motion related) 57 , MOTION to AMEND EX PARTE APPLICATION for Order for Shortening Time On Plaintiff's Motion To Amend Bifurcation And Scheduling Order To Ensure Compliance With Phase I Discovery Deadlines 55 MOTION to AMEND EX PARTE APPLICATION for Order for Shortening Time On Plaintiff's Motion To Amend Bifurcation And Scheduling Order To Ensure Compliance With Phase I Discovery Deadlines 55 56 , EX PARTE APPLICATION for Order for Shortening Time On Plaintiff's Motion To Amend Bifurcation And Scheduling Order To Ensure Compliance With Phase I Discovery Deadlines 55 served on April 5, 2011. (Lucas, Amy)
April 6, 2011 Filing 57 DECLARATION of Amy Lucas MOTION to AMEND EX PARTE APPLICATION for Order for Shortening Time On Plaintiff's Motion To Amend Bifurcation And Scheduling Order To Ensure Compliance With Phase I Discovery Deadlines 55 MOTION to AMEND EX PARTE APPLICATION for Order for Shortening Time On Plaintiff's Motion To Amend Bifurcation And Scheduling Order To Ensure Compliance With Phase I Discovery Deadlines 55 56 , EX PARTE APPLICATION for Order for Shortening Time On Plaintiff's Motion To Amend Bifurcation And Scheduling Order To Ensure Compliance With Phase I Discovery Deadlines 55 filed by Plaintiff Hollywood Foreign Press Association, Counter Defendant Hollywood Foreign Press Association. (Attachments: # 1 Exhibits A thru F to Lucas Declaration, # 2 Exhibits G thru L to Lucas Declaration, # 3 Exhibits M thru N to Lucas Declaration, # 4 Exhibits O thru Q to Lucas Declaration, # 5 Exhibits R thru W to Lucas Declaration)(Smith, Linda)
April 5, 2011 Filing 56 NOTICE OF MOTION AND MOTION to AMEND EX PARTE APPLICATION for Order for Shortening Time On Plaintiff's Motion To Amend Bifurcation And Scheduling Order To Ensure Compliance With Phase I Discovery Deadlines 55 filed by plaintiff Hollywood Foreign Press Association. Motion set for hearing on 4/11/2010 at 01:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order)(Smith, Linda)
April 5, 2011 Filing 55 EX PARTE APPLICATION for Order for Shortening Time On Plaintiff's Motion To Amend Bifurcation And Scheduling Order To Ensure Compliance With Phase I Discovery Deadlines filed by plaintiff and counter-defendant Hollywood Foreign Press Association. (Attachments: # 1 Declaration of Robin Wall in Support of Ex Parte Application, # 2 Proposed Order)(Smith, Linda)
March 28, 2011 Filing 54 CERTIFICATION AND NOTICE of Interested Parties filed by Defedants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P. (jp)
March 28, 2011 Filing 53 COUNTERCLAIMS against Counter Defendants Hollywood Foreign Press Association filed by Counterclaimant Dick Clark Productions, Inc. (Filed as one PDF, Defendants' Answer to Amended Complaint and Counterclaims)(lom) (Additional attachment(s) added on 3/29/2011: # 1 21 Days Summons Issued) (jp).
March 28, 2011 21 DAY Summons Issued re Counterclaim 53 as to Counterclaimant Dick Clark Productions, Inc. (lom)
March 28, 2011 ANSWER to First Amended Complaint, 50 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P. (Answer and Counterclaim are filed as one Pdf) (lom)
March 15, 2011 Filing 52 PROOF OF SERVICE filed by plaintiff Hollywood Foreign Press Association, re Amended Complaint, 50 , Summons Issued served on 3/11/2011. (Smith, Linda)
March 15, 2011 Filing 51 PROOF OF SERVICE filed by plaintiff Hollywood Foreign Press Association, re Amended Complaint, 50 , Summons Issued served on 3/10/2011. (Smith, Linda)
March 9, 2011 Filing 50 FIRST AMENDED COMPLAINT 1 against Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P., Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Does filed by plaintiff: Hollywood Foreign Press Association. (lom) (Additional attachment(s) added on 3/10/2011: # 1 21 Days Summons Issued) (jp).
March 9, 2011 21 DAY Summons Issued re First Amended Complaint 50 as to Defendants Dick Clark Productions, Inc., Does, Red Zone Capital GP LLC, Red Zone Capital Management Company LLC, Red Zone Capital Partners II, L.P. (lom)
March 7, 2011 Filing 49 MINUTES OF Motion Hearing held before Judge Valerie Baker Fairbank: denying 39 Ex Parte Application to Strike ; granting in part and denying in part 18 Motion to Dismiss. Court Reporter: Rosalyn Adams. (kbr)
March 7, 2011 Opinion or Order Filing 48 MINUTE ORDER IN CHAMBERS by Judge Valerie Baker Fairbank: Tentative Order Issued re: MOTION to Dismiss Complaint Under FRCP 12(B)(6) 18 . (se)
March 7, 2011 Opinion or Order Filing 47 ORDER GRANTING PLAINTIFF'S UNOPPOSED MOTION FOR LEAVE TO FILE FIRST AMENDED COMPLAINT ADDING ADDITIONAL RED ZONE ENTITIES by Judge Valerie Baker Fairbank: granting 41 Motion for Leave. Plaintiff HFPA shall MANUALLY file its First Amended Complaint within two (2) business days following entry of this Order. (kbr)
March 7, 2011 Opinion or Order Filing 46 ORDER ON JOINT STIPULATION REGARDING PROPOSED FIRST AMENDED COMPLAINT by Judge Valerie Baker Fairbank, re Stipulation for Leave 45 . Plaintiff's proposed First Amended Complaint should be filed; The Court should proceed with the hearing on Defendants Motion to Dismiss 18 , set for March 7, 2011 at 1:30 p.m.; and The Court's ruling on Defendants Motion will apply to the First Amended Complaint. (kbr)
March 6, 2011 Filing 45 Joint STIPULATION for Leave to as to Plaintiff's Motion to File First Amended Complaint filed by Plaintiff Hollywood Foreign Press Association.(Lucas, Amy)
March 4, 2011 Filing 44 Redline Version of Plaintiff's [Proposed] First Amended Complaint, Pursuant to the Courts Minute Order of 3/4/2011 43 filed by Plaintiff Hollywood Foreign Press Association / With Exhibits A thru E re: Minutes of In Chambers Order/Directive - no proceeding held, 43 (Smith, Linda)
March 4, 2011 Opinion or Order Filing 43 MINUTE ORDER IN CHAMBERS by Judge Valerie Baker Fairbank. The hearing on Defendants' Motion to Dismiss Complaint Under FRCP 12(B)(6) (dkt. 18 remains set for Monday, March 7, 2011 at 1:30 p.m. The Court orders Plaintiff to file, no later than Friday, March 4, 2011 at 5:00 p.m., a redline version of the proposed First Amended Complaint illustrating any changes made to the original Complaint 1 . (kbr)
March 4, 2011 Filing 42 Proposed First Amended Complaint For (1) Trademark Infringement; (2) False Association; (3) Declaration of Copyright Co-Ownership; (4) Breach of Contract; (5) Declaratory Relief; (6) Action For An Accounting; (7) Breach of The Implied Covenant of Good Faith and Fair Dealing; (8) Breach of Fiduciary Duty; (9) Unfair Competition Under Cal. Bus. & Prof. Code Section 17200 and California Common Law; (10) Intentional Interference With Prospective Economic Advantage; and (11) Reformation 41 (Smith, Linda)
March 3, 2011 Filing 41 NOTICE OF MOTION AND MOTION for Leave to to file First Amended Complaint / To Add Additional Red Zone Entities Pursuant to the Court's Scheduling Order filed by plaintiff Hollywood Foreign Press Association. Motion set for hearing on 4/11/2011 at 01:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Declaration of Linda J. Smith in Support, # 2 Proposed Order)(Smith, Linda)
March 1, 2011 Filing 40 OPPOSITION TO PLAINTIFF'S EX PARTE APPLICATION TO STRIKE PORTIONS OF DEFENDANTS' REPLY IN SUPPORT OF THE MOTION TO DISMISS OR IN THE ALTERNATIVE FOR LEAVE TO FILE A SUR-REPLY filed by Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. (Cachan, Manuel)
February 28, 2011 Filing 39 EX PARTE APPLICATION to Strike Portions of Defendants' Reply re Reply (Motion related) 37 filed by plaintiff Hollywood Foreign Press Association. (Attachments: # 1 Memorandum of Ponts and Authorities in Support of Ex Parte Application - with Exhibit 1, # 2 Declaration of Linda J. Smith in Support of Ex Parte Application, # 3 Proposed Order)(Smith, Linda)
February 21, 2011 Opinion or Order Filing 38 ORDER by Judge Valerie Baker Fairbank GRANTING Stipulation re Bifurcation of Issues, Phase 1 Discovery and Scheduling 36 : Jury Trial set for 9/6/2011 at 08:30 AM before Judge Valerie Baker Fairbank; Final Status Conference set for 8/29/2011 at 02:30 PM before Judge Valerie Baker Fairbank. Se dcoument for further dates and deadlines. (se)
February 21, 2011 Filing 37 REPLY in Support of Defendants' Motion to Dismiss filed by Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. (Phillips, Bradley)
February 18, 2011 Filing 36 Joint STIPULATION for Discovery as to Bifurcation of Issues, Phase I Discovery and Scheduling filed by Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. (Attachments: # 1 Proposed Order)(Walters, Whitney)
February 17, 2011 Filing 35 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: Notice of Appearance 34 . The following error(s) was found: Account information was not updated in the ECF system. Your account information must be updated immediately by going to Utilities - Maintain Your Address or Maintain Your E-mail Address. In response to this notice the court may order (1) an amended or correct document to be filed (2) the document stricken or (3) take other action as the court deems appropriate. You need not take any action in response to this notice unless and until the court directs you to do so. (vh)
February 17, 2011 Filing 34 NOTICE of Appearance filed by attorney Whitney Beth Walters on behalf of Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P. (Walters, Whitney)
February 16, 2011 Filing 33 NOTICE of Change of Attorney Information for attorney Kyle Alexander Casazza counsel for Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. Adding Kyle A. Casazza as attorney as counsel of record for Red Zone Capital Partners II, L.P. and Dick Clark Productions, Inc. for the reason indicated in the G-06 Notice. Filed by defendants Red Zone Capital Partners II, L.P. and Dick Clark Productions, Inc. (Casazza, Kyle)
February 11, 2011 Filing 32 MINUTES: PROCEEDINGS: CONTINUED SCHEDULING CONFERENCE before Judge Valerie Baker Fairbank: The Court finds good cause for this Order. The Court also finds good cause for continuance of the Scheduling Conference to 3/7/2011 at 1:30 PM. Additionally, if either Party wishes to propose any phasing of the action, i.e. bifurcation or severance, a noticed motion should be filed and served by 2/18/2011, with a limit of 10 pages. Any opposition papers should be filed by 2/25/2011, with a limit of 15 pages. Any reply papers should be filed by 3/2/2011, with a limit of 5 pages. The Court will hear any such motion(s) at the hearing on 3/7/2011 at 1:30 PM. Plaintiff and Defendants shall participate in a conference of counsel by 2/17/2011 at 12:00 PM. At Plaintiffs request and with Defendants agreement, the Court vacates the request that the Parties engage in an initial settlement conference by 3/1/2011. Court Reporter: Rosalyn Adams. (jp)
February 9, 2011 Filing 31 BRIEF filed by Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. Regarding Phasing of Trial Issues (Miller, Jeslyn)
February 9, 2011 Filing 30 Supplemental BRIEF filed by plaintiff Hollywood Foreign Press Association. / Regardimg Bifurcation and Pre-Trial Phasing (Attachments: # 1 Appendix)(Smith, Linda)
February 9, 2011 Filing 29 Joint STIPULATION for Discovery filed by Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. (Attachments: # 1 Proposed Order)(Miller, Jeslyn)
February 7, 2011 Filing 28 MEMORANDUM in Opposition to MOTION to Dismiss Complaint Under FRCP 12(B)(6) MOTION to Dismiss Complaint Under FRCP 12(B)(6) 18 filed by Plaintiff Hollywood Foreign Press Association. (Attachments: # 1 Request For Judicial Notice in Support of Plaintiff's Opposition, # 2 Declaration of Amy Lucas in Support of Plaintiff's Request For Judicial Notice)(Smith, Linda)
February 3, 2011 Filing 26 NOTICE OF CLERICAL ERROR: Due to clerical error Re Minutes of Scheduling Conference 24 , the scanned document was inadvertently not included. Entry 24 is stricken and Minutes of Scheduling Conference re-filed and entered. (se)
February 2, 2011 Filing 25 NOTICE of Change of Attorney Information for attorney Jeslyn A Miller counsel for Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. Adding Jeslyn A. Miller as attorney as counsel of record for Red Zone Capital Partners II, L.P. and Dick Clark Productions, Inc. for the reason indicated in the G-06 Notice. Filed by Defendants Red Zone Capital Partners II, L.P. and Dick Clark Productions, Inc. (Miller, Jeslyn)
February 1, 2011 Filing 24 ***DOCUMENT STRICKEN*** MINUTES OF Scheduling Conference held before Judge Valerie Baker Fairbank: Status Conference re trial schedule and bifurcation issues set for 2/11/2011 at 09:30 AM before Judge Valerie Baker Fairbank. By 2/9/11 at 4:00 pm, Counsel may file their briefsCourt Reporter: Bridget Montero.(se) Modified on 2/3/2011 (se).
January 31, 2011 Filing 27 MINUTES OF Scheduling Conference held before Judge Valerie Baker Fairbank.Amended Pleadings due one month from this date. Last date to conduct settlement conference is 3/1/2011. Counsel may file, by 2/8/11 at 4:00 p.m., briefs addressing trial and discovery issues (see document). Status Conference re trial set for 2/11/2011 at 09:30 AM before Judge Valerie Baker Fairbank.Court Reporter: Bridget Montero. (se)
January 24, 2011 Filing 23 INITIAL DISCLOSURE Pursuant to FRCP 26(a) filed by Plaintiff Hollywood Foreign Press Association (Smith, Linda)
January 24, 2011 Filing 22 INITIAL DISCLOSURE filed by Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P. (Miller, Jeslyn)
January 18, 2011 Filing 21 JOINT REPORT Rule 26(f) Discovery Plan filed by Plaintiff Hollywood Foreign Press Association.. (Attachments: # 1 Settlement Procedure Selection)(Smith, Linda)
January 12, 2011 Filing 20 NOTICE of Change of Attorney Information for attorney Martin D Katz counsel for Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. Adding Martin D. Katz as attorney as counsel of record for Dick Clark Productions, Inc.; Red Zone Capital PartnersII, L.P. for the reason indicated in the G-06 Notice. Filed by Defendant dick clark productions, inc. (Katz, Martin)
January 7, 2011 Filing 19 REQUEST FOR JUDICIAL NOTICE re MOTION to Dismiss Complaint Under FRCP 12(B)(6) MOTION to Dismiss Complaint Under FRCP 12(B)(6) 18 filed by Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. (Cachan, Manuel)
January 7, 2011 Filing 18 NOTICE OF MOTION AND MOTION to Dismiss Complaint Under FRCP 12(B)(6) filed by Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. Motion set for hearing on 3/7/2011 at 01:30 PM before Judge Valerie Baker Fairbank. (Attachments: # 1 Proposed Order)(Cachan, Manuel)
December 6, 2010 Opinion or Order Filing 17 ORDER by Judge Valerie Baker Fairbank, re Stipulation 15 . NOW, THEREFORE, IT IS HEREBY ORDERED as follows: (1) Defendants Red Zone Capital Partners II, L.P., and dick clark productions, inc. shall file their response to Plaintiff Hollywood Foreign Press Association Complaint on or before 1/7/2011. (2) Plaintiff Hollywood Foreign Press Association shall file any response to Defendants response to the Complaint on or before 2/7/2011. (3) Defendants Red Zone Partners II, L.P., and dick clark productions, Inc. shall file any reply brief by on or before 2/21/2011. (4) The motions shall be heard on 3/7/2011, or on a date thereafter as convenient for the Court and the parties. (jp)
December 3, 2010 Opinion or Order Filing 16 MINUTE ORDER IN CHAMBERS by Judge Valerie Baker Fairbank. Counsel are hereby notified that a Scheduling Conference has been set for January 31, 2011 at 8:30 a.m. Counsel are directed to comply with Rule 26(f) of the Federal Rules of Civil Procedure and Local Rule 26-1 in a timely fashion and to file a Joint Rule 26(f) Report and a Notice of Settlement Procedure Selection Form ADR-1, on or before January 18, 2011. (kbr)
December 3, 2010 Filing 15 STIPULATION for Extension of Time to File (1) Response to Initial Complaint (2) for Plaintiff to Respond and (3) for Defendants' Reply filed by Defendants Dick Clark Productions, Inc., Red Zone Capital Partners II, L.P.. (Attachments: # 1 Proposed Order)(Phillips, Bradley)
November 30, 2010 Filing 14 PROOF OF SERVICE filed by plaintiff Hollywood Foreign Press Association, re Order on Application to Seal (document) 10 served on 11/30/2010. (Lucas, Amy)
November 29, 2010 Filing 13 PROOF OF SERVICE Executed by Plaintiff Hollywood Foreign Press Association, upon Defendant Dick Clark Productions, Inc. served on 11/17/2010, answer due 12/8/2010. Service of the Summons and Complaint were executed upon Margaret Wilson, Registered Agent, CT Corporation in compliance with Federal Rules of Civil Procedure by service on a domestic corporation, unincorporated association, or public entity. Original Summons NOT returned. (Lucas, Amy)
November 29, 2010 Filing 12 PROOF OF SERVICE filed by plaintiff Hollywood Foreign Press Association, re Order 4 / for Stand Order on Red Zone Capital Partners II, and Dick Clark Productions, Inc. served on 11/22/2010. (Lucas, Amy)
November 29, 2010 Filing 11 PROOF OF SERVICE Executed by Plaintiff Hollywood Foreign Press Association, upon Defendant Red Zone Capital Partners II, L.P. served on 11/18/2010, answer due 12/9/2010. Service of the Summons and Complaint were executed upon Paul Matthews, Person Authorized by the Corporation in compliance with Federal Rules of Civil Procedure by service on a domestic corporation, unincorporated association, or public entity. Original Summons NOT returned. (Lucas, Amy)
November 23, 2010 Opinion or Order Filing 10 ORDER by Judge Valerie Baker Fairbank: granting 9 Application to Seal the Originally Filed Exhibit C to the Complaint. (kbr)
November 22, 2010 Opinion or Order Filing 8 NOTICE OF DOCUMENT DISCREPANCIES AND ORDER by Judge Valerie Baker Fairbank ORDERING Application to File under seal and Declaration submitted by Plaintiff Hollywood Foreign Press Association received on 11/19/10 to be filed and processed; filed date to be the date the document was stamped Received but not Filed with the Clerk. (kbr)
November 22, 2010 Filing 7 OF SERVICE filed by plaintiff Hollywood Foreign Press Association, re Order 4 / Proof of Service served on 11/22/2010. (Lucas, Amy)
November 19, 2010 Filing 9 APPLICATION to Place Originally Filed Exhibit C to Complaint Under Seal; Declaration of Harrison Whitman in Support Thereof, filed by Plaintiff Hollywood Foreign Press Association. (kbr)
November 19, 2010 Filing 6 NOTICE OF ERRATA filed by Plaintiff Hollywood Foreign Press Association. correcting Complaint - (Discovery), Complaint - (Discovery) 1 re: Exhibit C to Complaint (Attachments: # 1 Exhibit 1 to Notice of Errata, # 2 Proof of Service)(Lucas, Amy)
November 19, 2010 Filing 5 NOTICE of Manual Filing filed by Plaintiff Hollywood Foreign Press Association of 1.Plaintiff's Notice of Application and Application to Place Originally filed Exhibit C to Complaint Under Seal ; Declaration of Harison Whitman ISO 2. [Proposed] Order Re: Plaintiff's Application to Place Originally Filed Exhibit C under Seal ; Notice of Application, Application, Whitman Declaration, And Propsed Order, Application and Proposed Order to file under Seal pursuant to General Order 08-02-; LR 79-5.1.. (Attachments: # 1 Proof of Service)(Lucas, Amy)
November 18, 2010 Opinion or Order Filing 4 STANDING ORDER by Judge Valerie Baker Fairbank (se)
November 17, 2010 Filing 3 REPORT ON THE FILING OF AN ACTION Regarding a Trademark (Initial Notification) filed by Hollywood Foreign Press Association. (ghap)
November 17, 2010 Filing 2 CERTIFICATION AND NOTICE of Interested Parties filed by Plaintiff Hollywood Foreign Press Association. (ghap) (ds).
November 17, 2010 Filing 1 COMPLAINT against Defendants Dick Clark Productions, Inc., Does 1 through 10, inclusive, Red Zone Capital Partners II, L.P. Case assigned to Judge Valerie Baker Fairbank for all further proceedings. Discovery referred to Magistrate Judge Fernando M. Olguin.(Filing fee $ 350: PAID) Jury Demanded., filed by plaintiff Hollywood Foreign Press Association.(ghap) (Additional attachment(s) added on 11/22/2010: # 1 Exhibits A - B, # 2 Exhibit C (SEALED), # 3 Exhibits D - E) (ds). Modified on 11/22/2010 (ds).
November 17, 2010 21 DAY Summons Issued re Complaint - (Discovery) 1 as to Defendants Dick Clark Productions, Inc., Does 1 through 10, inclusive, Red Zone Capital Partners II, L.P. (ghap)

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Defendant: Dick Clark Productions, Inc.
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Defendant: Red Zone Capital Partners II, L.P.
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Plaintiff: Hollywood Foreign Press Association
Represented By: Amy Riley Lucas
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