Misc | Filed: September 18, 2026
| Entered: September 18, 2026
FloSports Inc. v. Tritz, Justin et al
Contract: Other | Wisconsin Western
Redacted Document
Redaction to 45 Declaration,,,,,,,,, by Plaintiff FloSports Inc. (Attachments:
# 1 Exhibit 1 - FloSports' Answers and Responses to Defendant Justin Tritz's First Interrogatories and Requests for Production served on Defendants on June 24, 2026,
# 2 Exhibit 2 - Email from Defendants' counsel dated August 17, 2026,
# 3 Exhibit 3 - Email to Defendants' counsel dated August 19, 2026,
# 4 Exhibit 4 - Email to Defendants' counsel dated August 25, 2026,
# 5 Exhibit 5 - Email from Defendants' counsel dated September 3, 2026,
# 6 Exhibit 6 - Table of the 121 documents that are still improperly designated as AEO [REDACTED],
# 7 Exhibit 7 - TRITZ_0000355-TRITZ_0000357, TRITZ_0000893-TRITZ_0000897, and TRITZ_0001232, examples of emails with third parties discussing or forwarding information about Trackwrestling's features (Category 1) [REDACTED],
# 8 Exhibit 8 - TRITZ_0000157-TRITZ_0000158 and TRITZ_0000390, examples of emails from USA Wrestling representative Tony Black to state wrestling associations promoting USA Bracketing (Category 2) [REDACTED],
# 9 Exhibit 9 - TRITZ_0000363-TRITZ_0000365, an example of an email with a third party promoting USA Bracketing (Category 3) [REDACTED],
# 10 Exhibit 10 - TRITZ_0000304-TRITZ_0000308 and TRITZ_000336-TRITZ_0000337, examples of meeting invite that contain no substantive discussion (Category 4) [REDACTED],
# 11 Exhibit 11 - TRITZ_0000469-TRITZ_0000470, TRITZ_0000642-TRITZ_0000643, and TRITZ_0000653, examples of scheduling emails with third parties (Category 5) [REDACTED],
# 12 Exhibit 12 - Tritz's First Supplemental Objections and Responses to Plaintiff's First Set of Interrogatories and Requests for Production served on July 31, 2026,
# 13 Exhibit 13 - Email from Defendants' counsel dated August 25, 2026,
# 14 Exhibit 14 - Letter from Defendants' counsel dated September 3, 2026,
# 15 Exhibit 15 - TRITZPC_001 [REDACTED],
# 16 Exhibit 16 - Email to Defendants' counsel on September 9, 2026,
# 17 Exhibit 17 - Amended and Restated Co-Promotion Agreement between SportsEngine, Inc. and TW Clocks LLC,
# 18 Exhibit 18 - Memorandum of Understanding between FloSports and... (truncated)
Response | Filed: September 18, 2026
| Entered: September 18, 2026
FloSports Inc. v. Tritz, Justin et al
Contract: Other | Wisconsin Western
Declaration
Declaration of Karen C. Burgess filed by Plaintiff FloSports Inc. re: 43 Motion for Miscellaneous Relief (Sealed Document) (Attachments:
# 1 Exhibit 1 - FloSports' Answers and Responses to Defendant Justin Tritz's First Interrogatories and Requests for Production served on Defendants on June 24, 2026,
# 2 Exhibit 2 - Email from Defendants' counsel dated August 17, 2026,
# 3 Exhibit 3 - Email to Defendants' counsel dated August 19, 2026,
# 4 Exhibit 4 - Email to Defendants' counsel dated August 25, 2026,
# 5 Exhibit 5 - Email from Defendants' counsel dated September 3, 2026,
# 6 Exhibit 6 - Defendant Justin Tritz's First Supplemental Objections and Responses to Plaintiff's First Set of Interrogatories and Requests for Production served on July 31, 2026,
# 7 Exhibit 7 - TRITZ_0000355-TRITZ_0000357, TRITZ_0000893-TRITZ_0000897, and TRITZ_0001232, examples of emails with third parties discussing or forwarding information about Trackwrestling's features (Category 1),
# 8 Exhibit 8 - TRITZ_0000157-TRITZ_0000158 and TRITZ_0000390, examples of emails from USA Wrestling representative Tony Black to state wrestling associations promoting USA Bracketing (Category 2),
# 9 Exhibit 9 - TRITZ_0000363-TRITZ_0000365, an example of an email with a third party promoting USA Bracketing (Category 3),
# 10 Exhibit 10 - TRITZ_0000304-TRITZ_0000308 and TRITZ_000336-TRITZ_0000337, examples of meeting invite that contain no substantive discussion (Category 4),
# 11 Exhibit 11 - TRITZ_0000469-TRITZ_0000470, TRITZ_0000642-TRITZ_0000643, and TRITZ_0000653, examples of scheduling emails with third parties (Category 5),
# 12 Exhibit 12 - Tritz's First Supplemental Objections and Responses to Plaintiff's First Set of Interrogatories and Requests for Production served on July 31, 2026,
# 13 Exhibit 13 - Email from Defendants' counsel dated August 25, 2026,
# 14 Exhibit 14 - Letter from Defendants' counsel dated September 3, 2026,
# 15 Exhibit 15 - TRITZPC_001,
# 16 Exhibit 16 - Email to Defendants' counsel on September 9, 2026,
# 17 Exhibit 17 - Amended and Restated Co-Promotion Agreement between SportsEngine, Inc. and TW Clocks LLC,
# 461 additional result(s)