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I just copied one of the pages you might think interesting, where they added to specified parties, etc.
Protected Information, and all parties and non-parties shall abide by the terms of this Protective Order with respect to such information.
This Protective Order shall not protect from disclosure or permit the protected designation of any document, information or material that: (a) the party has not made reasonable efforts to keep confidential; or (b) has been produced in any other action or proceeding without confidentiality protection, except inadvertently produced documents.
1. Parties. For the purposes of this Protective Order, the term “party” or “parties” shall refer only to the plaintiffs in Fairholme Funds, Inc. et al v. United States (No. 13-465C, Fed. Cl.), Cacciapalle, et al. v. United States, (No. 13-466C, Fed. Cl.),13-465, Fed. Reid v. United States, (No. 14-152C, Fed. Cl.), Washington Federal, et al. v. United States (No. 13-385C, Fed. Cl.), Fisher v. United States, (No. 13-608C, Fed. Cl.), Rafter v. United States (No. 14-740C, Fed. Cl.), and Arrowood Indemnity Company, et al. v. United States (No. 13-698C, Fed. Cl.) (the “Actions”)Cl.), and defendant, the United States, including its agencies. For the purposes of this Protective Order, the term “party” shall also include the Federal Housing Finance Agency (FHFA). The inclusion of FHFA in this definition does not imply or state that FHFA is a defendant, or that FHFA is a Government actor for all purposes. For purposes of this Protective Order, the term “producing party” includes non-parties that produce material that has been designated as Protective Information.
2. Protected Information Defined. “Protected Information” as used in this Protective Order means proprietary, confidential, trade secret, or market-sensitive information, as well as information that is otherwise protected from public disclosure under applicable law. Protected Information does not include discovery material that has been provided to or prepared by any Government agency (which shall include, for these purposes, FHFA) and that is available under applicable law. The designation of information as Protected Information must be made or supervised by an attorney. To facilitate the expeditious production by a party of information requested in discovery by another party, the producing party may initially designate all information that it produces as Protected Information, subject to the right of the receiving party, in accordance with the procedures established under Paragraph 17 of this Protective Order, to thereafter challenge the designation of the information as Protected Information. Protected Information may be contained in:
(a) any document produced, filed, or served by a party to this litigation (the term “document” is defined to include, without limitation, all written, recorded, or graphic material, whether produced or created by a party or another person, whether produced pursuant to Rule 34 of the Rules of this court, subpoena, by agreement, or otherwise); or
(b) any deposition, sealed testimony or argument, declaration, or affidavit taken or provided during this litigation;
3. Restrictions on the Use of Protected Information. Protected Information may be used solely for the purposes of Fairholme Funds, Incthe Actions identified in Paragraph 1,. v. United States (No. 13-465, Fed. Cl.), including any appellate proceedings, and may not be given, shown, made available, discussed, or otherwise conveyed in any form, except as otherwise agreed by the parties or as otherwise provided in this Protective Order or in any subsequent orders issued by the court in this action (including but not limited to any orders issued pursuant to Paragraphs 17
v.
) No. 13-465C
) (Judge Sweeney) )
IN THE UNITED STATES COURT OF FEDERAL CLAIMS
FAIRHOLME FUNDS, INC., et al., ) ) Plaintiffs, )
THE UNITED STATES, ) ) Defendant. )
PLAINTIFFS’ UNOPPOSED MOTION TO AMEND THE PROTECTIVE ORDER
Pursuant to this Court’s July 10, 2015 order in Cacciapalle, et al., v. United States, No. 13-466C (Fed. Cl.), and related cases, Plaintiffs respectfully move to amend this Court’s July 16, 2014 Protective Order (Doc. 73). In accordance with this Court’s instructions, Plaintiffs attach a proposed Amended Protective Order (Exhibit A) and a copy of the original Protective Order with suggested changes indicated (Exhibit B). The suggested changes have been agreed upon by all counsel in the actions specified in this Court’s July 10 Cacciapalle order.
Date: July 27, 2015
Of counsel:
Vincent J. Colatriano
David H. Thompson
Peter A. Patterson
Brian W. Barnes
COOPER & KIRK, PLLC
1523 New Hampshire Avenue, N.W. Washington, D.C. 20036
(202) 220-9600
(202) 220-9601 (fax)
Respectfully submitted,
s/ Charles J. Cooper
Charles J. Cooper
Counsel of Record
COOPER & KIRK, PLLC
1523 New Hampshire Avenue, N.W. Washington, D.C. 20036
(202) 220-9600
(202) 220-9601 (fax) ccooper@cooperkirk.com
copy of the foregoing was served upon all counsel of record on this 27th day of July, 2015, via the Court’s Electronic Case Filing system.
s/ Charles J. Cooper Charles J. Cooper
Dax1, this one is due tomorrow, the 27th.
07/23/2015 ORDER granting 213 Motion for Extension of Time to File Proposed Amended Protective Order (discussed in the court's 7/10/2015 order in Cacciapalle v. United States, no. 13-466C (consolidated)). Plaintiffs shall file the proposed amended protective order by 7/27/2015. Signed by Judge Margaret M. Sweeney. (kb1)
Donotunderstand, Josh Rosner, David Stevens supposedly, may discuss CSP, etc.
Sounds like Rosner and Stevens are agreeing to a discussion about CSP. That could be good for more clarification about current CSP activity. :)
A communication from the General Counsel, Department of Housing and Urban Development, transmitting, pursuant to law, a report relative to a vacancy in the position of Chief Financial Officer, Department of Housing and Urban Development, received during adjournment of the Senate in the Office of the President of the Senate on July 17, 2015; to the Committee on Banking, Housing, and Urban Affairs.
I'm sure it is! :)
FNMAS 500,000 shares @ $4.47 [15:21:41]
Buffett once owned 9% of fmcc. He wants certain things in place or something else, IMO.
distracted by coverage of Trump in Laredo
Drummond's list of skills
Certified Green Belt
Change Management
Process Improvement
Strategic Planning
Banking
Management
Six Sigma
Strategy
Mergers & Acquisitions
Business Analysis
Leadership
E-commerce
Supply Chain
Financial Services
Executive Management
Project Management
Operations Management
Cross-functional Team...
Vendor Management
Business Process...
Product Management
Outsourcing
IT Strategy
Program Management
Supply Chain Management
Business Strategy
Team Leadership
Leadership Development
Payments
Retail
Enterprise Software
Employee Engagement
Portfolio Management
Human Resources
Credit
Coaching
Organizational...
Marketing
Mobile Devices
Risk Management
Performance Management
Talent Management
Governance
Team Building
FMCKJ 250,000 shares @ $4.45 [12:22:21]
FNMAS 250,000 shares @ $4.43 [12:46:40]
FNMAS 500,000 shares @ $4.45 [12:56:36]
Thanks for the update TII!
Yes, great article! I tapped on the link a few more times! :)
• Executive Communication 2319 21-Jul-15 A communication from the Assistant General Counsel, General Law, Ethics, and Regulation, Department of the Treasury, transmitting, pursuant to law, a report relative to a vacancy in the position of Deputy Under Secretary (Legislative Affairs), received in the Office of the President of the Senate on July 14, 2015; to the Committee on Banking, Housing, and Urban Affairs.
Yes, Reyprimero, nice to see it being covered by different outlets.
I'm not quite following. Can you say it again Donot? Thx
v. ) No. 13-465C ) (Judge Sweeney) ) IN THE UNITED STATES COURT OF FEDERAL CLAIMS FAIRHOLME FUNDS, INC., et al., ) ) Plaintiffs, ) THE UNITED STATES, ) ) Defendant. ) PLAINTIFFS’ UNOPPOSED MOTION FOR AN ENLARGEMENT OF TIME TO FILE A PROPOSED AMENDED PROTECTIVE ORDER Pursuant to RCFC 6.1(a), Plaintiffs respectfully move for an enlargement of time of 5 days to file a proposed Amended Protective Order. On July 10, 2015, this Court issued an order in Cacciapalle v. United States, No. 13-466 (Fed. Cl.), and related cases specifying that counsel for the parties in such cases, along with Fairholme’s counsel, should confer on proposed changes to the July 16, 2014 Protective Order (Doc. 73) entered in this case and submit a proposed Amended Protective Order by today, July 22, 2015. Counsel have been diligently conferring on possible changes, but there remain issues to resolve before the parties can propose an Amended Protective Order to this Court. Accordingly, Plaintiffs respectfully request a 5-day extension, such that the proposed Amended Protective Order will be due on July 27, 2015. In accordance with RCFC 6.1(b), Plaintiffs have consulted with opposing counsel, and the Government does not oppose this motion. Date: July 22, 2015 Of counsel: Vincent J. Colatriano David H. Thompson Peter A. Patterson Brian W. Barnes Respectfully submitted, s/ Charles J. Cooper Charles J. Cooper Counsel of Record COOPER & KIRK, PLLC 1523 New Hampshire Avenue, N.W. Washington, D.C. 20036
NYT asked for 2 docs, Ugoletti and DeMarco depositions.
Big T-Trades Fnmas, Fmckj!
Thank you for your service, IL Padrino, welcome home!
"It's the most interesting risk-reward that I'm aware of in the capital markets right now,"
@ShaleIntel: How soon until we the $FMNA $FMCC take off ?
Big money likes good court news!
$$$fnma,fmcc$$$
@ShaleIntel: Buying $FNMA $FMCC
@ShaleIntel: @ShaleIntel lots of support here. $FNMA $FMCC
The two tweets from Charles Constantinou
Mr. Constantinou served as Chief of Energy and Resources Branch, in the Department of Economic and Social Affairs of the United Nations, Secretariat, NY (1985-1995). During his distinguished UN career of 34 years, Mr. Constantinou also held the positions of Chief, Energy Unit and Senior Energy Investment Advisor.
He authored numerous reports for the UN Economics and Social Council, the General Assembly and various Energy Committees as well as publications such as the annual World Economic Survey (Energy Chapter). Before joining Shale Intelligence, LLC & Equis Trading Inc., Mr. Constantinou has been an active consultant to the United Nations in oil market analysis and research.
Economic and Petroleum Analyst at Shale Intelligence
Global Energy Operations, Director at Equis Trading, LLC
Investment-firm analyst on global energy markets, oil & gas catalysts, and forecasting.
Primary focus is seeking new contracted projects by energy investment professionals including investment-firms, hedge funds, private equity, and retail.
Covering the global energy market, including all petroleum products and derivates i.e shale oil, shale gas, LNG, Gast to liquids, fossil fuels, and the fundamentals of supply and demand.
Focus includes economic modeling and forecasting, energy trading, commodity markets, natural gas supply, peak oil, regulatory analysis, energy policy advisor, event-driven catalysts, and mainly US based oil & gas publically listed companies.
Exclusive equity research and forecast reports on Cheniere Energy Inc. LNG, Noble Energy Inc. NBL, Continental Resources CLR, EOG, CLR, XOM, DVN, CHK, PXD, Gas to Liquids, Liquified Natural Gas, and Petrobras. Consulting and research on natural resource and policy developments and catalysts in EMEA Region, Russia, USA, OPEC.
Recent award-winning author at OilPro.com , Hvst.com, SeekingAlpha, Pipeline Magazine, TipRanks.com, and many more.
Shale Intelligence was founded and is managed by Dennis Droushiotis Jr.
another pair of 300k for fmckj!
TLT 800,000 shares @ $119.68 [15:14:31]
at times correlation
FMCC 600,000 shares @ $2.41 [14:29:50]
FNMA 250,000 shares @ $2.52 [10:07:49]
FNMA 250,000 shares @ $2.52 [10:02:45]
This is going to get big fast now!!!