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Case: 15-2304 Document 003112233047 Page: 1 Date Fed: 03/15/2016 GEORGE W. COCHRAN Attomey at Law ocean Profersicenl Being ‘Telephon: $3016 5500 ats Real De. acum 3902006136 ‘Sowers, Chi $428. ‘Bam denim cs March 15, 2016 Framsmitied via ECE] ‘The Honorable Marcia M. Waldron Clesk of Court US. Court of Appeals for the Third Circuit 21400 US. Courthouse 601 Market Steet Philadelphia, PA 19106 Inre Nat'l Football League Players Concussion Injuay Litig,,No. 15-2230 Dear Ms. Waldron, Please be advised that Objector-Appellant Curtis Anderson (“Anderson”) jjoims in the Notice of Supplemental Authority submitted by Objectors-Appellants ‘Alm Faneca, et al., (“Faneca"} on March 15, 2016 (Doe. No. 003112232896). In compliance with Federal Rule of Appellate Procedure 28(), Anderson adds an independent basis for the supplemental citation not mentioned in Faneca’s notice: that a reasonable alternative co compensating funure CTE victims in the present sectlement is to exclude them from the class definition. Support for this argument can be found in Objectors-Appellants’ Raymond Armstrong, et al.'s opening brief (Doe. No. 003112073560) at p. 55 (which Anderson adopted by reference in his opening brief). Respectfully submitted, ah WW. Cochran (Georze W. Cochran, (Counsel for Objector-Appellant Gartis Anderson ce: All counsel by ECF

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