Tuesday, November 17, 2020 10:06:05 PM
DOCKET FILE > ChanBond, LLC v. Atlantic Broadband Group, LLC, et al.
541 11/17/2020 NOTICE of Subsequent Authority by ChanBond, LLC
1 Attachment
web ~ RULE 9.225. NOTICE OF SUPPLEMENTAL AUTHORITY
A party may file notices of supplemental authority with the court before a decision has been rendered to call attention to decisions, rules, statutes, or other authorities that are significant to the issues raised and that have been discovered after service of the party’s last brief in the cause. The notice shall not contain argument, but may identify briefly the issues argued on appeal to which the supplemental authorities are pertinent if the notice is substantially in the form prescribed by rule 9.900(j). Copies of the supplemental authorities shall be attached to the notice.
ChanBond, LLC v. Atlantic Broadband Group, LLC, et al.
Court Docket Sheet
District of Delaware
1:2015-cv-00842 (ded)
540 11/13/2020 REDACTED VERSION of [536] Declaration, of Krishnan Padmanabhan by Atlantic Broadband Group, LLC, Bright House Networks, LLC, CSC Holdings, LLC, Cable One, Inc., Cablevision Systems Corporation, Cequel Communications Holdings I, LLC, Cequel Communications, LLC, Charter Communications, Inc., Comcast Cable Communications, LLC, Comcast Corporation, Cox Communications, Inc., Mediacom Communications Corporation, RCN Telecom Services, LLC, Time Warner Cable Enterprises LLC, Time Warner Cable Inc., WaveDivision Holdings, LLC, WideOpen West Finance, LLC.
1 Attachment ?
539 11/13/2020 REDACTED VERSION of [535] Reply Brief, by Atlantic Broadband Group, LLC, Bright House Networks, LLC, CSC Holdings, LLC, Cable One, Inc., Cablevision Systems Corporation, Cequel Communications Holdings I, LLC, Cequel Communications, LLC, Charter Communications, Inc., Comcast Cable Communications, LLC, Comcast Corporation, Cox Communications, Inc., Mediacom Communications Corporation, RCN Telecom Services, LLC, Time Warner Cable Enterprises LLC, Time Warner Cable Inc., WaveDivision Holdings, LLC, WideOpen West Finance, LLC.
538 11/12/2020 STATEMENT re [537] MOTION for Leave to File Sur-Reply in Opposition / Plaintiff Chanbond, LLC's Certification Pursuant to Local Rule 7.1.1 Regarding its Motion for Leave to File Sur-Reply in Opposition to Defendants' Motion to Reopen Discovery for Investigation of Standing Issues by ChanBond, LLC.
11/12/2020 LOCAL RULE 7.1.1 NOTICE: In accordance with Local Rule 7.1.1, except for civil cases involving pro se parties or motions brought by nonparties, every nondispositive motion shall be accompanied by an averment of counsel for the moving party that a reasonable effort has been made to reach agreement with the opposing party on the matters set forth in the motion. Unless otherwise ordered, failure to so aver may result in dismissal of the motion. The records of this case do not reflect such an averment by counsel for DI # [537]. Please file the averment using the event code STATEMENT, found under OTHER DOCUMENTS. (Text entry; no document attached.)
537 11/11/2020 [SEALED] MOTION for Leave to File Sur-Reply in Opposition to Defendants' Motion to Reopen Discovery for Investigation of Standing Issues - filed by ChanBond, LLC. (Attachments: # (1) [Proposed] Order, # (2) Exhibit 1, # (3) Certificate of Service)
536 11/05/2020 [SEALED] DECLARATION re [535] Reply Brief, [of Krishnan Padmanabhan] by Atlantic Broadband Group, LLC, Bright House Networks, LLC, CSC Holdings, LLC, Cable One, Inc., Cablevision Systems Corporation, Cequel Communications Holdings I, LLC, Cequel Communications, LLC, Charter Communications, Inc., Comcast Cable Communications, LLC, Comcast Corporation, Cox Communications, Inc., Mediacom Communications Corporation, RCN Telecom Services, LLC, Time Warner Cable Enterprises LLC, Time Warner Cable Inc., WaveDivision Holdings, LLC, WideOpen West Finance, LLC. (Attachments: # (1) Exhibit N-U)
535 11/05/2020 [SEALED] REPLY BRIEF re [524] MOTION to Reopen Fact Discovery for Limited Investigation for Standing Issues filed by Atlantic Broadband Group, LLC, Bright House Networks, LLC, CSC Holdings, LLC, Cable One, Inc., Cablevision Systems Corporation, Cequel Communications Holdings I, LLC, Cequel Communications, LLC, Charter Communications, Inc., Comcast Cable Communications, LLC, Comcast Corporation, Cox Communications, Inc., Mediacom Communications Corporation, RCN Telecom Services, LLC, Time Warner Cable Enterprises LLC, Time Warner Cable Inc., WaveDivision Holdings, LLC, WideOpen West Finance, LLC.
534 11/05/2020 REDACTED VERSION of [530] Letter by Atlantic Broadband Group, LLC, Bright House Networks, LLC, CSC Holdings, LLC, Cable One, Inc., Cablevision Systems Corporation, Cequel Communications Holdings I, LLC, Cequel Communications, LLC, Charter Communications, Inc., Comcast Cable Communications, LLC, Comcast Corporation, Cox Communications, Inc., Mediacom Communications Corporation, RCN Telecom Services, LLC, Time Warner Cable Enterprises LLC, Time Warner Cable Inc., WaveDivision Holdings, LLC, WideOpen West Finance, LLC.
1 Attachment ?
541 11/17/2020 NOTICE of Subsequent Authority by ChanBond, LLC
1 Attachment
web ~ RULE 9.225. NOTICE OF SUPPLEMENTAL AUTHORITY
A party may file notices of supplemental authority with the court before a decision has been rendered to call attention to decisions, rules, statutes, or other authorities that are significant to the issues raised and that have been discovered after service of the party’s last brief in the cause. The notice shall not contain argument, but may identify briefly the issues argued on appeal to which the supplemental authorities are pertinent if the notice is substantially in the form prescribed by rule 9.900(j). Copies of the supplemental authorities shall be attached to the notice.
ChanBond, LLC v. Atlantic Broadband Group, LLC, et al.
Court Docket Sheet
District of Delaware
1:2015-cv-00842 (ded)
540 11/13/2020 REDACTED VERSION of [536] Declaration, of Krishnan Padmanabhan by Atlantic Broadband Group, LLC, Bright House Networks, LLC, CSC Holdings, LLC, Cable One, Inc., Cablevision Systems Corporation, Cequel Communications Holdings I, LLC, Cequel Communications, LLC, Charter Communications, Inc., Comcast Cable Communications, LLC, Comcast Corporation, Cox Communications, Inc., Mediacom Communications Corporation, RCN Telecom Services, LLC, Time Warner Cable Enterprises LLC, Time Warner Cable Inc., WaveDivision Holdings, LLC, WideOpen West Finance, LLC.
1 Attachment ?
539 11/13/2020 REDACTED VERSION of [535] Reply Brief, by Atlantic Broadband Group, LLC, Bright House Networks, LLC, CSC Holdings, LLC, Cable One, Inc., Cablevision Systems Corporation, Cequel Communications Holdings I, LLC, Cequel Communications, LLC, Charter Communications, Inc., Comcast Cable Communications, LLC, Comcast Corporation, Cox Communications, Inc., Mediacom Communications Corporation, RCN Telecom Services, LLC, Time Warner Cable Enterprises LLC, Time Warner Cable Inc., WaveDivision Holdings, LLC, WideOpen West Finance, LLC.
538 11/12/2020 STATEMENT re [537] MOTION for Leave to File Sur-Reply in Opposition / Plaintiff Chanbond, LLC's Certification Pursuant to Local Rule 7.1.1 Regarding its Motion for Leave to File Sur-Reply in Opposition to Defendants' Motion to Reopen Discovery for Investigation of Standing Issues by ChanBond, LLC.
11/12/2020 LOCAL RULE 7.1.1 NOTICE: In accordance with Local Rule 7.1.1, except for civil cases involving pro se parties or motions brought by nonparties, every nondispositive motion shall be accompanied by an averment of counsel for the moving party that a reasonable effort has been made to reach agreement with the opposing party on the matters set forth in the motion. Unless otherwise ordered, failure to so aver may result in dismissal of the motion. The records of this case do not reflect such an averment by counsel for DI # [537]. Please file the averment using the event code STATEMENT, found under OTHER DOCUMENTS. (Text entry; no document attached.)
537 11/11/2020 [SEALED] MOTION for Leave to File Sur-Reply in Opposition to Defendants' Motion to Reopen Discovery for Investigation of Standing Issues - filed by ChanBond, LLC. (Attachments: # (1) [Proposed] Order, # (2) Exhibit 1, # (3) Certificate of Service)
536 11/05/2020 [SEALED] DECLARATION re [535] Reply Brief, [of Krishnan Padmanabhan] by Atlantic Broadband Group, LLC, Bright House Networks, LLC, CSC Holdings, LLC, Cable One, Inc., Cablevision Systems Corporation, Cequel Communications Holdings I, LLC, Cequel Communications, LLC, Charter Communications, Inc., Comcast Cable Communications, LLC, Comcast Corporation, Cox Communications, Inc., Mediacom Communications Corporation, RCN Telecom Services, LLC, Time Warner Cable Enterprises LLC, Time Warner Cable Inc., WaveDivision Holdings, LLC, WideOpen West Finance, LLC. (Attachments: # (1) Exhibit N-U)
535 11/05/2020 [SEALED] REPLY BRIEF re [524] MOTION to Reopen Fact Discovery for Limited Investigation for Standing Issues filed by Atlantic Broadband Group, LLC, Bright House Networks, LLC, CSC Holdings, LLC, Cable One, Inc., Cablevision Systems Corporation, Cequel Communications Holdings I, LLC, Cequel Communications, LLC, Charter Communications, Inc., Comcast Cable Communications, LLC, Comcast Corporation, Cox Communications, Inc., Mediacom Communications Corporation, RCN Telecom Services, LLC, Time Warner Cable Enterprises LLC, Time Warner Cable Inc., WaveDivision Holdings, LLC, WideOpen West Finance, LLC.
534 11/05/2020 REDACTED VERSION of [530] Letter by Atlantic Broadband Group, LLC, Bright House Networks, LLC, CSC Holdings, LLC, Cable One, Inc., Cablevision Systems Corporation, Cequel Communications Holdings I, LLC, Cequel Communications, LLC, Charter Communications, Inc., Comcast Cable Communications, LLC, Comcast Corporation, Cox Communications, Inc., Mediacom Communications Corporation, RCN Telecom Services, LLC, Time Warner Cable Enterprises LLC, Time Warner Cable Inc., WaveDivision Holdings, LLC, WideOpen West Finance, LLC.
1 Attachment ?
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