NOTICE OF VOLUNTARY DISMISSAL Pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, WITHOUT prejudice against the defendant(s) all defendants. Document filed by all plaintiffs. (Moran, Brian)
ORDER GRANTING PLAINTIFFS' EX PARTE APPLICATION FOR LEAVE TO TAKE IMMEDIATE DISCOVERY [3] Motion for Discovery. (Signed by Judge Colleen McMahon on 3/26/2008).
ENDORSED LETTER addressed to Judge Colleen McMahon from Victor B. Kao dated 7/1/08 re: Plaintiffs request that the Court continue the initial pretrial conference that was set for July 1, 2008. ENDORSEMENT: Conference 9/5/08 at 10 am No more adjournments. So Ordered. (Signed by Judge Colleen McMahon on 7/2/08) (js)
CALENDAR NOTICE: Rule 16(b) Conference set for 7/25/2008 at 11:00 AM Courtroom 21D, 500 Pearl Street, New York, NY 10007 before Judge Colleen McMahon. (Signed by Judge Colleen McMahon on 7/1/2008) (tve)
CALENDAR NOTICE: Please take notice that Rule (16) conference has been re-scheduled for 7/01/2008 at 11:00 AM in Courtroom 21B, 500 Pearl Street, New York, NY 10007 before Judge Colleen McMahon. (Signed by Judge Colleen McMahon on 5/22/2008) (jfe)
ENDORSED LETTER addressed to Judge Colleen McMahon from Victor B. Kao dated 5/21/08 re: Plaintiffs request that the initial pretrial conference be continued to 7/1/08. The Current deadline for Service is 7/24/08. ENDORSEMENT: Please notify Chambers when you have served defendants. Case on suspense until then. (Signed by Judge Colleen McMahon on 5/21/08) (tro)
OORDER FOR INITIAL PRETRIAL CONFERENCE:...If such a consent order is not filed within the time provided,... Initial Conference set for 5/23/2008 at 10:45 AM in Courtroom 21B, 500 Pearl Street, New York, NY 10007 before Judge Colleen McMahon. (Signed by Judge Colleen McMahon on 4/1/2008) (mde)
MEMORANDUM OF LAW in Support re: [3] EX PARTE MOTION for Discovery.. Document filed by Arista Records, LLC, Atlantic Recording Corporation, BMG Music, Capitol Records, Inc.. (Attachments: # (1) Exhibit A to Memorandum of Law in Support of Ex Parte Application for Leave to Take Immediate Discovery, # (2) Exhibit B to Memorandum of Law in Support of Ex Parte application for Leave to Take Immediate Discovery)(Kao, Victor)
EX PARTE MOTION for Discovery. Document filed by Arista Records, LLC, Atlantic Recording Corporation, BMG Music, Capitol Records, Inc.. (Attachments: # (1) Text of Proposed Order Order Granting Ex Parte Application for Leave to Take Immediate Discovery)(Kao, Victor)
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying BMG Music, Warner Music Group Corp.,Sony BMG Music Entertainment, Ariola Eurodisc LLC, Maltby Capital Limited, Univision Music LLC, Univision Music Group Mexico, S.A. de C.V., Univision Music Inc., Vivendi S.A., Bertelsmann AG, Sony Corporation, Diamond Music LLC, Atlantic Recording Corporation, Warner Music Group Corp., Capitol-EMI Music Inc., EMI Group North America Holdings, Inc. EMI Group International BV, EMI Group Holdings BV, EMI Group International Holdings Ltd., EMI Group Worldwide Ltd., Virgin Music Group Ltd., EMI Group Limited, WMG Acquisition Corp., WMG Holdings Corp., USCO Holdings Inc., BeSo Holding LLC, Arista Holding, Inc. and Zomba US Holdings, Inc., as Corporate Parent. Document filed by Loud Records, LLC, Motown Record Company L.P., Narada Productions, Inc., Nonesuch Records Inc., Priority Records LLC, Sony BMG Music Entertainment, UMG Recordings, Inc., Virgin Records America, Inc., Warner Bros. Records, Inc., Zomba Recording LLC, Arista Records, LLC, Atlantic Recording Corporation, BMG Music, Capitol Records, Inc., Elektra Entertainment Group, Inc., Fonovisa, Inc., Interscope Records, Laface Records LLC, Lava Records LLC.(jeh) (jeh).