(LT-2759) Attorney for Plaintiffs 425 Eagle Rock Avenue, Suite 201 Roseland, New Jersey 07068 (973) 618-2175 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW JERSEY (Trenton) --------------------------------- x NR MEDIA, INC. and NAKED RHINO MEDIA, LLC, : No. 06-cv-03988-JAP-JJH Plaintiffs, v. : TOO MUCH MEDIA, LLC, JOHN ALBRIGHT, Individually and CHARLES BERREBBI, Individually, Defendants. and : ORDER TOO MUCH MEDIA, LLC, : Document Electronically Filed Counterclaimant, v. NR MEDIA, INC., NAKED RHINO MEDIA, LLC, CHRISTOPHER PETOSKI, Individually, and JASON TUCKER, Individually, Counterclaim Defendants. -------------------------------: : : : x : : :

THIS MATTER being opened to the Court upon the motion of Plaintiffs NR MEDIA, INC. and NAKED RHINO MEDIA, LLC (“Plaintiffs”) pursuant to Rules 15(a) and (d) of the Federal Rules of Civil Procedure seeking leave to amend and supplement the Amended Complaint against defendants Too Much Media, LLC (incorrectly sued herein as Too Much Media, Inc.), John Albright, and Charles Berrebbi,(collectively, “Defendants”) [Docket Number

______], by motion returnable on April 21, 2008; and Defendants having submitted opposition to Plaintiffs’ Motion [Docket Number_____]; and Plaintiffs have submitted a reply thereto [Docket Number _______]; and The Court having reviewed the parties’ respective submissions and having considered this matter and good cause having been shown; It is on this ______ day of April, 2008, ORDERED as follows: 1. The Second Amended and Supplemental Complaint, in the form submitted

to the Court, is to be filed with the Clerk of the Court; 2. This action is declared a class action pursuant Rules 23(a) and (b)(3) of the

Federal Rules of Civil Procedure; 3. Plaintiffs NR MEDIA, INC. and NAKED RHINO MEDIA, LLC are

directed to file their Motion for Appointment as Class Counsel within thirty (30) days of the date of this Order; and 4. Plaintiffs NR MEDIA, INC. and NAKED RHINO MEDIA, LLC shall

serve a copy of the this Order and Second Amended and Supplemental Complaint upon all parties within ______ days of the date hereof.

Dated: April ___, 2008



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