Plaintiffs' amended complaint asserts three causes of action, all of which are premised upon Defendants' alleged violation of New York Civil Rights Law §§50 and 51. Hancock & Estabrook, LLP, Syracuse, New York, for Defendants Brophy and International Boxing Hall of Fame, Timothy P. Zucker Spaeder LLP, Washington, D.C., for Defendants Oneida Indian Nation, Turning Stone Casino, Chief Ray Halbritter, and Dwayne Stitzer, William W. Mackenzie Hughes LLP, Syracuse, New York, for Defendants Oneida Indian Nation, Turning Stone Casino, Chief Ray Halbritter, and Dwayne Stitzer, Peter D. *300 The Bullard Law Group, Rochester, New York, for Plaintiffs, H. TURNING STONE CASINO Oneida Indian Nation Chief Ray Halbritter, as an individual and a representative of the Oneida Indian Nation Edward Brophy, acting individually as a Boxing Promoter in connection with Turning Stone Casino and as a representative of the International Boxing Hall of Fame Dwayne Stitzer, as an Individual and Marketing Manager, Turning Stone Casino and the International Boxing Hall of Fame, an offreservation entity, controlled by Edward Brophy, Defendants. Joseph (Smokin' Joe) FRAZIER, and Rubin Mark, Inc., Plaintiffs,