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Security John Doe And The Diddy Defendants Fire Off Dueling Letters

Security John Doe And The Diddy Defendants Fire Off Dueling Letters



The Combs Defendants, including Sean Combs and his affiliated companies, have requested a pre-motion conference to seek dismissal of Plaintiff John Doe’s First Amended Complaint (ECF #28) with prejudice. Filed under Court’s Individual Rule 2(B), the request argues that the lawsuit lacks legal merit and should be entirely dismissed.

Plaintiff John Doe, through counsel, submits this response to the February 25, 2025 letter motion (Dkt. No. 51) filed by Sean Combs, Daddy’s House Recordings Inc., CE OpCo, LLC (d/b/a Combs Global), Bad Boy Entertainment Holdings, Inc., Bad Boy Productions Holdings, Inc., Bad Boy Books Holdings, Inc., and Bad Boy Entertainment LLC (collectively, the “Combs Defendants,” with the exception of Mr. Combs, referred to as the “Company Defendants”). In their motion, the Combs Defendants seek leave to file a motion to dismiss Plaintiff’s Complaint (Dkt. No. 1). This response addresses the defendants’ request and the grounds on which they seek dismissal.


to contact me:

bobbycapucci@protonmail.com


source:

Microsoft Word - 24-cv-07776 (NRB) Pre-Motion Letter to Court


gov.uscourts.nysd.629909.55.0.pdf


Published on 2 days, 10 hours ago






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