[USML Announce] League vote - 11the team entry

Blocker, Mark B. mblocker at Sidley.com
Wed Mar 8 08:54:54 EST 2006


Update on informal voting:
 
Inherit:  Gammons, Winick, Kerber, Robbins 

Scratch:  Barrett, Klein, Buddha, Shabelman 

Undecided:  Brats, Bombers

________________________________

	From: announce-bounces at usml.net [mailto:announce-bounces at usml.net] On Behalf Of Blocker, Mark B.
	Sent: Wednesday, March 08, 2006 8:44 AM
	To: announce at usml.net
	Subject: [USML Announce] League vote - 11the team entry
	
	

	The informal voting on whether the new owner should simply inherit the Cups roster ("inherit") or start from scratch ("scratch") appears to be as follows:

	Inherit:  Gammons, Winick, Kerber, Robbins 

	Scratch:  Barrett, Klein, Buddha 

	Undecided:  Brats, Bombers, Shabelman 

	  Brats/Angries, please vote.  Also, among the "inherit" group, please let me know if anyone wishes to reconsider their vote now that they have heard the sentiments of owners who were required to start from scratch.  From among the "scratch" group, same request.  I admit, I am on the fence.

	  -- Mark B. 

	
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	Sidley Austin LLP mail server made the following annotations on 03/08/06, 08:43:55:
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	IRS Circular 230 Disclosure: To comply with certain U.S. Treasury regulations, we inform you
	that, unless expressly stated otherwise, any U.S. federal tax advice contained in this
	communication, including attachments, was not intended or written to be used, and cannot be
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	to by other parties in promoting, marketing or recommending any partnership or other entity,
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Sidley Austin LLP mail server made the following annotations on 03/08/06, 08:54:47:
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IRS Circular 230 Disclosure: To comply with certain U.S. Treasury regulations, we inform you
that, unless expressly stated otherwise, any U.S. federal tax advice contained in this
communication, including attachments, was not intended or written to be used, and cannot be
used, by any taxpayer for the purpose of avoiding any penalties that may be imposed on such 
taxpayer by the Internal Revenue Service.  In addition, if any such tax advice is used or referred
to by other parties in promoting, marketing or recommending any partnership or other entity,
investment plan or arrangement, then (i) the advice should be construed as written in connection
with the promotion or marketing by others of the transaction(s) or matter(s) addressed in this
communication and (ii) the taxpayer should seek advice based on the taxpayer's particular
circumstances from an independent tax advisor.

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