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Civil Rights: Jobs | New York Southern
Telephone Conference
Minute Entry for proceedings held before Magistrate Judge Sarah L. Cave: Telephone Conference held on 8/14/2026. Attorneys Michael Willemin and Russell Kornblith appeared on behalf of Plaintiffs. Attorney Daniel Toal appeared on behalf of Defendant The National Football League. Attorney Brian Carroll appeared on behalf of Defendant New York Football Giants, Inc. d/b/a New York Giants. Attorneys Anna Berman and Marcia Washkuhn appeared on behalf of Defendant Denver Broncos Football Club d/b/a Denver Broncos. Attorney Elizabeth Wilkerson appeared on behalf of Defendant Houston NFL Holdings, L.P. d/b/a Houston Texans. (ne)
Order
ORDER: Pursuant to the discussion during the telephonic conference held today, August 14, 2026 (the "Conference"), the Court ORDERS as follows: 1. Defendant The National Football League ("NFL") may serve on Plaintiff Brian Flo res ("Flores") an interrogatory that seeks: a. The date on which Mr. Flores first communicated with his counsel in this action; and b. The date on which Mr. Flores signed an engagement letter with his counsel in this action. 2. Mr. Flores s hall revise his response to the NFL's Interrogatory No. 9 to confirm his counsel's representation during the Conference that he did not receive any mental health treatment before the events described in the third amended complaint (see Dkt. No. 274 (the "TAC")), and, to date, has not received or sought any mental health treatment in relation to his allegations in the TAC. (Id.) 3. With respect to Mr. Flores' Request for Production ("RFP") to the NFL No. 202, th e NFL shall review the list that Mr. Flores has propounded of persons with knowledge of the allegations in the TAC and document custodians and confirm, with respect to any individuals on the list who are current or former NFL employees, whether those individuals are subject to any confidentiality or non-disparagement obligations to the NFL. 4. By August 17, 2026 at 5:00 p.m. ET: a. With respect to the NFL's RFP to Mr. Flores No. 1, the Texans' RFP to Mr. Flores No. 18, and the Giants 039; RFP to Mr. Flores No. 22, Defendants may submit a joint letter, not to exceed 1,050 words, regarding the scope of the documents and information they are seeking from Mr. Flores concerning his loss of reputation and loss of opportunity allegation s (the "August 17 Letter")). b. The parties shall order a copy of the Conference transcript using the annexed form and selecting "3 day" service. 5. By August 19, 2026 at 12:00 p.m. ET, Mr. Flores may submit a letter, not to excee d1,050 words, in response to the Defendants' August 17 Letter.6. Concerning Defendants' RFPs and interrogatories to Mr. Flores other than thosementioned in this Order, the Court refers the parties to the Conference transcript. (Signed by Magistrate Judge Sarah L. Cave on 8/14/2026) (tro)
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