2022.10.22 03:58 _Melissa_99_ Meine Youtube Rescourcen
2022.04.13 17:46 TheRadPonseti RADIO BAM EPISODE #24 "BAM & JENN BROKE UP / METAL MULISHA"
2020.09.01 06:01 ScorpioGirl1987 Just for Fun: Character Hogwarts Houses
2020.06.02 15:48 Quippykisset ins10
2019.12.09 19:06 isuzuki51 Which Twitter Beat Reporters For Your Team Should I Be Paying Attention To?
National Reporters (MLB) | Twitter Handle |
---|---|
Ken Rosenthal | @Ken_Rosenthal |
Jeff Passan | @JeffPassan |
Joel Sherman | @Joelsherman1 |
Jon Heyman | @JonHeyman |
Jon Morosi | @jonmorosi |
Bob Nightengale | @BNightengale |
Mark Feinsand | @Feinsand |
Peter Gammons | @pgammo |
Beat Writers | Team | Twitter Handle |
---|---|---|
Nick Piecoro | ARZ | @nickpiecoro |
Steve Gilbert | ARZ | @SteveGilbertMLB |
Zach Buchanan | ARZ | @ZHBuchanan |
Mark Bowman | ATL | @mlbbowman |
David O'Brien | ATL | @DOBrienATL |
Grant McAuley | ATL | @grantmcauley |
Gabe Burns | ATL | @GabeBurnsAJC |
Kevin McAlpin | ATL | @KevinMcAlpin |
Joe Trezza | BAL | @JoeTrezz |
Roch Kubatko | BAL | @masnRoch |
Nathan Ruiz | BAL | @NathanSRuiz |
Dan Connolly | BAL | @danconnolly2016 |
Steve Melewski | BAL | @masnSteve |
Jon Meoli | BAL | @JonMeoli |
Jen McCaffrey | BOS | @jcmccaffrey |
Chad Jennings | BOS | @chadjennings22 |
Jason Mastrodonato | BOS | @JMastrodonato |
Alex Speier | BOS | @alexspeier |
Pete Abraham | BOS | @PeterAbe |
Mark Gonzales | CHC | @MDGonzales |
Gordon Wittenmeyer | CHC | @GDubCub |
Jesse Rogers | CHC | @ESPNChiCubs |
Sahadev Sharma | CHC | @sahadevsharma |
Jordan Bastian | CHC | @MLBastian |
Scott Merkin | CWS | @scottmerkin |
Daryl Van Schouwen | CWS | @CST_soxvan |
Scot Gregor | CHC | @scotgregor |
James Fegan | CHC | @JRFegan |
John Fay | CIN | @johnfayman |
Mark Sheldon | CIN | @m_sheldon |
C. Trent Rosecrans | CIN | @ctrent |
Paul Hoyens | CLE | @hoynsie |
James Rapien | CLE | @JamesRapien |
Zack Meisel | CLE | @ZackMeisel |
T.J. Zuppe | CLE | @TJZuppe |
Patrick Saunders | COL | @psaundersdp |
Thomas Harding | COL | @harding_at_mlb |
Nick Groke | COL | @nickgroke |
Anthony Fenech | DET | @anthonyfenech |
Cody Stavenhagen | DET | @CodyStavenhagen |
Jason Beck | DET | @beckjason |
Chandler Rome | HOU | @Chandler_Rome |
Jake Kaplan | HOU | @jakemkaplan |
Brian McTaggart | HOU | @brianmctaggart |
Julia Morales | HOU | @JuliaMorales |
Alec Lewis | KCR | @alec_lewis |
Lynn Worthy | KCR | @LWorthySports |
Jeffrey Flanagan | KCR | @FlannyMLB |
Maria Torres | LAA | @maria_torres3 |
Jeff Fletcher | LAA | @JeffFletcherOCR |
Mike DiGiovanna | LAA | @MikeDiGiovanna |
Bill Shaikin | LAA | @BillShaikin |
Fabian Ardaya | LAA | @FabianArdaya |
Taylor Blake Ward | LAA | @TaylorBlakeWard |
Bill Plunkett | LAD | @billplunkettocr |
Ken Gurnick | LAD | @kengurnick |
Alanna Rizzo | LAD | @alannarizzo |
Jorge Castillo | LAD | @jorgecastillo |
Pedro Moura | LAD | @pedromoura |
Joe Frisaro | MIA | @JoeFrisaro |
Jordan McPherson | MIA | @J_McPherson1126 |
Andre Fernandez | MIA | @FernandezAndreC |
Craig Mish | MIA | @CraigMish |
Adam McCalvy | MIL | @AdamMcCalvy |
Todd Rosiak | MIL | @Todd_Rosiak |
Tom Haudricourt | MIL | @Haudricourt |
Lavelle E. Neal | MIN | @LaVelleNeal |
Dan Hayes | MIN | @DanHayesMLB |
Do-Hyoung Park | MIN | @dohyoungpark |
Brandon Warne | MIN | @Brandon_Warne |
Betsy Helfand | MIN | @betsyhelfand |
Anthony DiComo | NYM | @AnthonyDiComo |
Tim Britton | NYM | @TimBritton |
Tim Healey | NYM | @timbhealey |
Justin Toscano | NYM | @JustinCToscano |
Mike Puma | NYM | @NYPost_Mets |
Steve Gelbs | NYM | @SteveGelbs |
Matt Ehalt | NYM | @MattEhalt |
Erik Boland | NYY | @eboland11 |
Lindsey Adler | NYY | @lindseyadler |
Jack Curry | NYY | @JackCurryYES |
Pete Caldera | NYY | @pcaldera |
Brendan Kuty | NYY | @BrendanKutyNJ |
Sweeny Murti | NYY | @YankeesWFAN |
Bryan Hoch | NYY | @BryanHoch |
Susan Slusser | OAK | @susanslusser |
Melissa Lockard | OAK | @melissalockard |
Shayna Rubin | OAK | @ShaynaRubin |
Martin Gallegos | OAK | @MartinJGallegos |
Jim Salisbury | PHI | @JSalisburyNBCS |
Matt Gelb | PHI | @MattGelb |
Meghan Montenuro | PHI | @M_Montemurro |
Matt Breen | PHI | @matt_breen |
Todd Zolecki | PHI | @ToddZolecki |
David Murphy | PHI | @ByDavidMurphy |
Jason Mackey | PIT | @JMackeyPG |
Rob Biertempfel | PIT | @robbiertempfel |
Adam Berry | PIT | @adamdberry |
Kevin Acee | SDP | @sdutKevinAcee |
Dennis Lin | SDP | @dennistlin |
Jeff Sanders | SDP | @sdutSanders |
AJ Cassavell | SDP | @AJCassavell |
Greg Johns | SEA | @GregJohnsMLB |
Ryan Divish | SEA | @RyanDivish |
Corey Brock | SEA | @CoreyBrockMLB |
Maria Guardado | SFG | @mi_guardado |
Henry Schulman | SFG | @hankschulman |
John Shea | SFG | @JohnSheaHey |
Grant Brisbee | SFG | @GrantBrisbee |
Mark Saxon | STL | @markasaxon |
Derrick S. Goold | STL | @dgoold |
Jenifer Langosch | STL | @LangoschMLB |
Juan Toribio | TBR | @juanctoribio |
Josh Tolentino | TBR | @JCTSports |
Marc Topkin | TBR | @TBTimes_Rays |
TR Sullivan | TEX | @Sullivan_Ranger |
Evan Grant | TEX | @Evan_P_Grant |
Jeff Wilson | TEX | @JeffWilson_FWST |
Levi Weaver | TEX | @ThreeTwoEephus |
Rob Longley | TOR | @longleysunsport |
Shi Davidi | TOR | @ShiDavidi |
Scott Mitchell | TOR | @ScottyMitchTSN |
Laura Armstrong | TOR | @lauraarmy |
Keegan Matheson | TOR | @KeeganMatheson |
Gregor Chisholm | TOR | @GregorChisholm |
Andrew Stoeten | TOR | @AndrewStoeten |
Ben Nicholson-Smith | TOR | @bnicholsonsmith |
Todd Dybas | WSH | @Todd_Dybas |
Jamal Collier | WSH | @JamalCollier |
Brittany Ghiroli | WSH | @Britt_Ghiroli |
Mark Zuckerman | WSH | @MarkZuckerman |
Jesse Dougherty | WSH | @dougherty_jesse |
2016.10.03 16:02 ColonelOfSka My City Club Tour 2016 experience (LOTS of videos)
2016.02.23 22:20 Lennac Email I recieved as a Directv subscriber and also a subscriber to mlb xtra-innings the last few years. I'm posting it just for the general info of the regular fans and have no comments as to any pro's or con's.
Automatic Benefits You do NOT need to submit a claim form to obtain these benefits. They will be provided automatically. Exclude Yourself byApril 15, 2016
You may exclude yourself from the Settlement in the case and retain your rights to commence a lawsuit against Defendants for damages caused by the conduct challenged in this case. Because the Court certified an injunctive class only and Defendants have agreed to change the ways in which the packages are sold to all consumers as part of this Settlement, you cannot opt out of the injunctive claims. Object by April 15, 2016 Submit a written statement to the Court about why you don't like the Settlement. If you submit an objection, you may also ask to be heard by the Court at the final Fairness Hearing. Go to Fairness Hearing You may attend the fairness hearing on April 25, 2016, whether or not you object or intend to speak. Do Nothing You will receive the full benefits of the Settlement, and will give up your rights to initiate any lawsuit against Defendants regarding the MLB's territorial broadcast limitations on its clubs and related blackout practices, including a lawsuit for alternative or additional relief to that provided here. **These rights and options — and the deadlines to exercise them — are explained inthis notice. **
BASIC INFORMATION 1. Why is this Notice being provided? Judge Shira Scheindlin of the United States District Court for the Southern District of New York authorized this notice to inform you about a proposed Settlement of this class action lawsuit and about all of your rights and options before the Court decides whether to approve the Settlement. This notice explains the lawsuit, the Settlement, and your legal rights. The case is known as Garber v. Office of the Commissioner of Baseball, Case No. 12-cv-3704, which was filed in 2012. The people who sue are called "Plaintiffs." The companies being sued (specified on page 1 of this notice) are collectively called the "Defendants." This notice summarizes the Settlement, but you can view the complete Settlement Agreement at www.MLBBroadcastingSettlement.com. 2. What is this lawsuit about? Plaintiffs allege that Defendants violated federal law by agreeing to allocate the country into territories and prohibit any MLB team from distributing broadcasts outside its specified territory. Plaintiffs claim that this caused inflated prices for live baseball broadcasts and limited consumer options for viewing baseball broadcasts. Defendants deny Plaintiffs' allegations, deny any wrongdoing, and contend that the challenged rules increased the quality and availability of MLB programming, and increased consumer choice at reasonable prices, as well as providing other benefits. 3. Why is this a Class Action? In a class action, one or more people sue on behalf of other people who have similar claims. If allowed by a court, all of these other people become part of a "class" or "Class Members." One lawsuit resolves the claims of all Class Members, except for any who exclude themselves from the class. In this case, the Court held that the individuals who filed this suit could represent a class for the purposes of seeking practice changes and a declaration that Defendants' conduct is illegal, but could not pursue damages claims on behalf of the class. 4. Why is there a Settlement? The Court did not decide in favor of Plaintiffs or Defendants. Instead, both sides agreed to settle this case to avoid the burden, cost and risk of further litigation. The Settlement does not mean that any law was broken or that Defendants did anything wrong. By settling, Defendants are not admitting any wrongdoing or liability. Defendants continue to deny all factual and legal claims in this case. Plaintiffs and their lawyers think the Settlement is best for all Class Members. WHO IS INCLUDED IN THE SETTLEMENT 5. How do I know if I am part of the Settlement? The Settlement includes all purchasers of MLB.TV and individuals who purchased MLB Extra Innings through either Comcast or DIRECTV between May 9, 2008 and January 18, 2016. The class is defined as follows: All individuals in the United States who purchased television service from DIRECTV and/or Comcast, or their subsidiaries, which included MLB Extra Innings, and/or who purchased MLB.TV from Major League Baseball or its subsidiaries or affiliates. 6. Are there exceptions to being included in the Settlement? Yes. The following are not included in the Settlement:• Officers, directors, or employees of any of the Defendants or any entity in which any of the Defendants have a controlling interest, and the affiliates, legal representatives, attorneys, heirs, or assigns of any of the Defendants; and
THE SETTLEMENT — WHAT YOU GET AND GIVE UP IFYOU QUALIFY
7. What does the Settlement provide?• Price Relief
8. What do I give up if the Settlement is given Final Approval? If the Settlement is given Final Approval, you and all other Class Members will release certain claims defined in the Settlement as "Released Claims." In general terms, Class Members who do not validly request to be excluded from the Settlement will release all Defendants from any claims that have been or could have been asserted based upon the facts alleged in the complaint, including claims for money damages. In addition, for the next five years you will release any claims based on the conduct permitted by the Settlement. If the Settlement is given Final Approval, the claims that were asserted against Defendants in the lawsuit will be dismissed with prejudice. EXCLUDING YOURSELF FROM THE DAMAGES RELEASE If you want to keep any right to seek monetary damages from Defendants for the dispute in this case, then you must take steps to exclude yourself from that portion of the Settlement. Because Defendants have agreed to change the ways in which the packages are sold to all consumers, excluding yourself only would allow you to pursue monetary claims. You will not be able to pursue additional injunctive relief. 9. If I do not exclude myself, can I sue later? No. Unless you exclude yourself from the damages release, you give up the right to sue Defendants for any claims that this Settlement resolves. 10. How do I exclude myself from the damages release? To exclude yourself from the damages release, you must either do so by following the instructions at the Settlement website, www.MLBBroadcastingSettlement.com, or by sending a letter by mail clearly stating that you want to be excluded from the Settlement in Garber v. Office of the Commissioner of Baseball, Case No. 12-cv-3704. Include your name, address, telephone number, signature, and date, and mail your request for exclusion to: Garber v. Office of the Commissioner of Baseballc/o Heffler Claims Group Po Box 58339 Philadelphia, PA 19102-8339
All requests must be completed or postmarked by April 15, 2016. If you do not follow these procedures, you will lose any opportunity to exclude yourself from the Settlement for all claims, including claims for past damages. 11. How can I tell the Court that I object to the Settlement? You can object to the Settlement if you do not like some part or all of it. You must give reasons why you think the Court should not approve the Settlement. You may also object to Plaintiffs' Counsel's request for attorneys' fees, reimbursement of expenses, and service awards to the named Plaintiffs. To object, you must file your objection with the Court no later than April 15, 2016, and mail your objection to these five addresses postmarked no later than April 15, 2016. PLAINTIFFS’ COUNSEL COUNSEL FOR DEFENDANTS Edward DiverHoward I. Langer Peter Leckman LANGER, GROGAN & DIVER, P.C. 1717 Arch Street, Suite 4130 Philadelphia, PA 19103
Shepard Goldfein, Esq.Daniel J. Toal PAUL, WEISS, RIFKIND, WHARTON & GARRISON LLP 1285 Avenue of the Americas New York, New York 10019
12. What happens if I object and the Settlement is approved? If the Settlement is finally approved, you will remain a Class Member regardless of whether you objected. You will remain bound by the terms of the Settlement and will not be able to sue Defendants about the claims in this case. 13. What is the difference between objecting and asking to be excluded? Objecting is simply telling the Court that you do not like something about the Settlement. You can object only if you stay in the relevant part of the Settlement. Excluding yourself is telling the Court that you do not want to be part of that aspect of the Settlement. If you exclude yourself for purposes of pursuing past damages claims, you cannot object to the release of damages claims, because that aspect of the Settlement no longer affects you. You may object to the provisions providing for changes in the Defendants' practices whether or not you exclude yourself from the settlement. THE LAWYERS WHO REPRESENT YOU 14. Do I have a lawyer in this case? The Court appointed Langer Grogan & Diver, P.C. to represent the class. This firm, together with other law firms that have assisted them, are called "Plaintiffs' Counsel." You will not be charged for these lawyers, because their fees will be paid separately by Defendants if the Court approves the fees. If you want to be represented by your own lawyer in this case, you may hire one at your own expense. 15. How will the lawyers in the case be paid? Plaintiffs' Counsel will ask the Court to award attorneys' fees and reimbursement of the expenses they had in this case. Plaintiffs' Counsel's application for attorneys' fees and expenses will be filed with the Court by April 11, 2016, and posted on the Settlement website. Plaintiffs' Counsel will request $16,500,000 in fees and costs, which is based on the hourly fees they have incurred over the last 4 years, the litigation expenses they have incurred over this time and Plaintiffs' Counsel's estimate of the value conferred on the class. Plaintiffs' Counsel will also ask for service awards of up to $10,000 for each named Plaintiff for their services on behalf of the class. The named Plaintiffs worked with Plaintiffs' Counsel to litigate this case, including producing documents, being deposed by Defendants, and preparing for trial. All fees, costs, and service awards are entirely in the discretion of the District Court. Any fees, costs, and service awards that the Court awards will be paid by Defendants. THE COURT’S FAIRNESS HEARING 16. How will the Court decide whether to approve the Settlement? At the Fairness Hearing, the Court will consider whether the Settlement is fair, reasonable, and adequate. The Court will also consider Plaintiffs' Counsel's request for attorneys' fees and expenses and service awards for the named Plaintiffs. If there are objections, the Court will consider them. If you do not file a written objection, you will not be permitted to speak at the Fairness Hearing. After the Fairness Hearing, the Court will decide whether to approve the Settlement and how much to award for fees, expenses and service awards. 17. When and where will the Court decide whether to approve the Settlement? The Court will hold the Fairness Hearing on April 25, 2016, at 2:30PM, at the United States Courthouse, 500 Pearl Street, New York, New York 10007-1312. A motion for final approval of the Settlement will be filed by Plaintiffs' Counsel by April 11, 2016. The motion will also be posted on the Settlement website, www.MLBBroadcastingSettlement.com. The Fairness Hearing may be moved to a different date or time without additional notice, so it is recommended that you periodically check www.MLBBroadcastingSettlement.com for updated information. Members of the Class who support the Settlement do not need to appear at the hearing or take any other action to indicate their approval of the Settlement. Members of the Class who object to the Settlement are not required to attend the Fairness Hearing 18. Do I need to come to the hearing? No. Plaintiffs' Counsel will answer any questions the Court may have. However, you are welcome to attend the hearing at your own expense. If you send in a written objection, you do not have to come to the Fairness Hearing to talk about it. As long as you mailed your written objection on time, the Court will consider it. You also may pay your own lawyer to attend the Fairness Hearing, but his or her attendance is not necessary. 19. May I speak at the hearing? You may speak at the Fairness Hearing if you submitted an objection as described in the answer to Question 11 and stated in your objection that you wish to be heard at the Fairness Hearing. You must file your objection by April 15, 2016 or you will not be heard. If you choose to appear in person at the Fairness Hearing, you can appear yourself or by retaining an attorney at your own expense to appear on your behalf. If the attorney is appearing on behalf of more than one Class Member, he or she must identify each of those Class Members. OTHER INFORMATION 20. How do I get more information? This notice summarizes the Settlement. More details are in the Settlement Agreement available at www.MLBBroadcastingSettlement.com. If you still have questions, call the Settlement Administrator at 1-877-852-8871, contact them via the settlement website, or write to Garber v. Office of the Commissioner of Baseball; c/o Heffler Claims Group; Po Box 58339; Philadelphia, PA 19102-8339.Please do not contact Defendants, their counsel, the Court or the Clerk’s office
2014.11.06 18:49 Thejklay Melissa Rauch Fhm
submitted by Thejklay to MelissaRauch [link] [comments] |