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Venable LLP
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Order | Filed: January 26, 2023 | Entered: January 26, 2023 Eppes v. MMM Consumer Brands, Inc.
Telephone Consumer Protection Act (TCPA) | New York Southern
Memo Endorsement ~Util - Set Deadlines
MEMO ENDORSEMENT on re: 23 Letter filed by MMM Consumer Brands, Inc. ENDORSEMENT: The Court is in receipt of the above letter from Defendant proposing next steps in this action in accordance with the Court's December 29, 2022 Order. (See Dkt. #20, 22). The Court adopts the briefing schedule proposed by the parties above. (Motions due by 2/24/2023., Replies due by 4/14/2023., Responses due by 3/24/2023) (Signed by Judge Katherine Polk Failla on 1/26/2023) (rro)
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Response | Filed: January 26, 2023 | Entered: January 26, 2023 Sarieddine v. Connected International Inc. et al
Trademark | California Eastern
Request for Judicial Notice
REQUEST for JUDICIAL NOTICE by Connected International Inc., Caleb Counts, Ted Lidie, MSTMA Inc., Sacramento Community Cannabis Collective, Stockton Business Strategies in re 14 Motion to Dismiss,. (Attachments: # 1 Memorandum, # 2 Declaration Alicia M. Sharon, # 3 Exhibit A, # 4 Exhibit B, # 5 Exhibit C, # 6 Proposed Order)(Sharon, Alicia)
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Filed: January 26, 2023 | Entered: January 26, 2023 In re Broiler Chicken Antitrust Litigation
791(Labor: E.R.I.S.A.) | Illinois Northern
Sealed Response
SEALED RESPONSE by Direct Purchaser Plaintiffs, Track 1 Direct Action Plaintiffs to SEALED MOTION by Defendants Agri Stats, Inc., Case Farms Processing, Inc., Case Farms, LLC, Case Foods, Inc., Foster Farms, LLC, Foster Poultry Farms, George's Farms, Inc., George's Inc., Harrison Poultry, Inc., House of Raeford Farms, Inc., 5966 Direct Purchaser Plaintiffs' and Direct-Action Plaintiffs' Opposition to Certain Defendants' Motion for Summary Judgment Dismissing Track 1 Direct Action Plaintiff and Direct Purchaser Plaintiff Claims On Statute of Limitations Grounds (Attachments: # 1 Direct Purchaser Plaintiffs' and Direct-Action Plaintiffs' Statement of Additional Facts Regarding Certain Defendants' Motion for Summary Judgment Concerning Applicable Statutes of Limitations, # 2 Direct Purchaser Plaintiffs' and Direct-Action Plaintiffs' Response to Certain Defendants' Local Rule 56.1 Statement of Material Facts In Support of Their Motion for Summary Judgment Concerning Applicable Statutes of Limitations, # 3 Declaration of Brian D. Clark, # 4 Exhibits 900-950, # 5 Exhibits 951-960, # 6 Exhibits 961-980, # 7 Exhibits 981-992)(Clark, Brian) (Entered: 01/26/2023)
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