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World Team Table Tennis Championships Preview: Indians target group dominance as new era begins  India’s men’s and women’s teams head into the 2026 World Team Table Tennis Championships, beginning in London on Tuesday, with a familiar mix of promise and pressure.Placed in Group 7, the Indian men’s team—featuring Manav Thakkar (WR No. 38), G. Sathiyan (42), Manush Shah (51), Harmeet Desai (80) and Payas Jain (127)—will start as the clear favourite against Slovakia, Tunisia and Guatemala.On paper, the rankings tilt heavily in India’s favour, particularly against a Slovak line-up led by Lubomir Pistej (149) and Yang Wang (184).Yet, the absence of now-retired Sharath Kamal’s experience in crunch ties could test India’s composure, especially in tight five-match encounters.The women’s team finds itself in Group 6, alongside Ukraine, Uganda, and Rwanda.Led by Manika Batra (WR No. 49), India also has Yashaswini Ghorpade (88), Diya Chitale (92), Sutirtha Mukherjee (120) and Syndrela Das (175), who at 16 is the youngest from the country to play at the worlds.Ukraine, spearheaded by Margaryta Pesotska (51), presents a more tangible threat, making the group a closer contest than the men’s draw.India’s recent history at this event offers both encouragement and caution. At the 2024 edition in Busan, both teams advanced to the knockout stage but exited in the Round of 32.The women’s team impressed with a second-place group finish that included narrow wins over Hungary and Spain, while pushing China in a close 2-3 loss.The men, meanwhile, showed resilience with wins over Chile and Kazakhstan but faltered against stronger opposition, going down 0-3 to South Korea in the knockouts.The format in London raises the stakes further.Only group winners are guaranteed direct entry into the main draw, while second-placed teams face a complicated qualification route based on match ratios.For the men, depth remains a strong suit.Sathiyan and Thakkar bring consistency, while Shah’s upward trajectory adds firepower.The women’s side, on the other hand, appears more balanced than before, with Manika’s big-match temperament complemented by a young core gaining international exposure.If India can convert its numerical advantage into clinical performances and avoid slipping into the uncertainties of second place, a deeper run than 2024 is well within reach.A century after the inaugural ITTF World Table Tennis Championships took place in England in 1926, the sport returns to where it all began for a truly historic centenary celebration.Published on Apr 27, 2026  #World #Team #Table #Tennis #Championships #Preview #Indians #target #group #dominance #era #begins

World Team Table Tennis Championships Preview: Indians target group dominance as new era begins

India’s men’s and women’s teams head into the 2026 World Team Table Tennis Championships, beginning in London on Tuesday, with a familiar mix of promise and pressure.

Placed in Group 7, the Indian men’s team—featuring Manav Thakkar (WR No. 38), G. Sathiyan (42), Manush Shah (51), Harmeet Desai (80) and Payas Jain (127)—will start as the clear favourite against Slovakia, Tunisia and Guatemala.

On paper, the rankings tilt heavily in India’s favour, particularly against a Slovak line-up led by Lubomir Pistej (149) and Yang Wang (184).

Yet, the absence of now-retired Sharath Kamal’s experience in crunch ties could test India’s composure, especially in tight five-match encounters.

The women’s team finds itself in Group 6, alongside Ukraine, Uganda, and Rwanda.

Led by Manika Batra (WR No. 49), India also has Yashaswini Ghorpade (88), Diya Chitale (92), Sutirtha Mukherjee (120) and Syndrela Das (175), who at 16 is the youngest from the country to play at the worlds.

Ukraine, spearheaded by Margaryta Pesotska (51), presents a more tangible threat, making the group a closer contest than the men’s draw.

India’s recent history at this event offers both encouragement and caution. At the 2024 edition in Busan, both teams advanced to the knockout stage but exited in the Round of 32.

The women’s team impressed with a second-place group finish that included narrow wins over Hungary and Spain, while pushing China in a close 2-3 loss.

The men, meanwhile, showed resilience with wins over Chile and Kazakhstan but faltered against stronger opposition, going down 0-3 to South Korea in the knockouts.

The format in London raises the stakes further.

Only group winners are guaranteed direct entry into the main draw, while second-placed teams face a complicated qualification route based on match ratios.

For the men, depth remains a strong suit.

Sathiyan and Thakkar bring consistency, while Shah’s upward trajectory adds firepower.

The women’s side, on the other hand, appears more balanced than before, with Manika’s big-match temperament complemented by a young core gaining international exposure.

If India can convert its numerical advantage into clinical performances and avoid slipping into the uncertainties of second place, a deeper run than 2024 is well within reach.

A century after the inaugural ITTF World Table Tennis Championships took place in England in 1926, the sport returns to where it all began for a truly historic centenary celebration.

Published on Apr 27, 2026

#World #Team #Table #Tennis #Championships #Preview #Indians #target #group #dominance #era #begins

India’s men’s and women’s teams head into the 2026 World Team Table Tennis Championships, beginning in London on Tuesday, with a familiar mix of promise and pressure.

Placed in Group 7, the Indian men’s team—featuring Manav Thakkar (WR No. 38), G. Sathiyan (42), Manush Shah (51), Harmeet Desai (80) and Payas Jain (127)—will start as the clear favourite against Slovakia, Tunisia and Guatemala.

On paper, the rankings tilt heavily in India’s favour, particularly against a Slovak line-up led by Lubomir Pistej (149) and Yang Wang (184).

Yet, the absence of now-retired Sharath Kamal’s experience in crunch ties could test India’s composure, especially in tight five-match encounters.

The women’s team finds itself in Group 6, alongside Ukraine, Uganda, and Rwanda.

Led by Manika Batra (WR No. 49), India also has Yashaswini Ghorpade (88), Diya Chitale (92), Sutirtha Mukherjee (120) and Syndrela Das (175), who at 16 is the youngest from the country to play at the worlds.

Ukraine, spearheaded by Margaryta Pesotska (51), presents a more tangible threat, making the group a closer contest than the men’s draw.

India’s recent history at this event offers both encouragement and caution. At the 2024 edition in Busan, both teams advanced to the knockout stage but exited in the Round of 32.

The women’s team impressed with a second-place group finish that included narrow wins over Hungary and Spain, while pushing China in a close 2-3 loss.

The men, meanwhile, showed resilience with wins over Chile and Kazakhstan but faltered against stronger opposition, going down 0-3 to South Korea in the knockouts.

The format in London raises the stakes further.

Only group winners are guaranteed direct entry into the main draw, while second-placed teams face a complicated qualification route based on match ratios.

For the men, depth remains a strong suit.

Sathiyan and Thakkar bring consistency, while Shah’s upward trajectory adds firepower.

The women’s side, on the other hand, appears more balanced than before, with Manika’s big-match temperament complemented by a young core gaining international exposure.

If India can convert its numerical advantage into clinical performances and avoid slipping into the uncertainties of second place, a deeper run than 2024 is well within reach.

A century after the inaugural ITTF World Table Tennis Championships took place in England in 1926, the sport returns to where it all began for a truly historic centenary celebration.

Published on Apr 27, 2026

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WrestleMania 42 Fallout: WWE Shakeups, Releases, and What’s Next | Deadspin.com <div id="section-1"> <p>WrestleMania 42 is in the rearview mirror and will go down as one of the most polarizing of its kind. Ads were galore, the ESPN app kept crashing, and the longest match across the board was 33 minutes long. On the bright side, almost <a href="https://deadspin.com/wrestlemania-42-grades-night-1-disaster-night-2-delivers/" target="_blank">everyone’s favorite won last weekend</a>. Randy Orton was originally supposed to win his 15th title, but Triple H decided to keep his rivalry going with Cody Rhodes. Long story short, WWE wanted to hit the reset button and rid the filth of TKO’s meddling with the insertion of Pat McAfee.</p><h2 id="the-ruler-has-arrived" class=" uppercase break-words">The Ruler Has Arrived</h2><p>Oba! Oba! Oba! Oba!</p><p><a href="https://www.forbes.com/sites/alfredkonuwa/2026/04/19/wwe-wrestlemania-42-results-oba-femi-annihilates-brock-lesnar-and-lesnar-retires-for-now/" target="_blank">Oba Femi beat Brock Lesnar at WrestleMania in the opener</a>, and WWE made the right decision. Rumor has it that Brock Lesnar picked Oba Femi to be his WrestleMania opponent and put him over. The Nigerian Giant opened Monday Night Raw, the crowd strutted along to his entrance and serenaded him. Femi said, “The Ruler Has Arrived,” and the mic dropped. Short, sweet, and to the point. Where he goes from here is anybody’s guess but expect a clash with Roman Reigns for the World Heavyweight title at SummerSlam or before the year is out.</p><h2 id="the-mania-match-that-shouldve-happened" class=" uppercase break-words">The ‘Mania Match that Should’ve Happened</h2><p>It’s a shame Iyo Sky vs Asuka (even adding Kaire Sane) didn’t happen at WrestleMania. Instead, Sky made an appearance in Rhea’s title match and celebrated Ripley’s victory. According to reports, the creative team didn’t want to rush this match and instead gave it time to develop. That same team put Gunther and Seth Rollins together in less than three weeks. On Raw, Sky and Ripley took down Asuka and Sane in the first match of the show. Hopefully, we will get Iyo Sky and Asuka at Backlash. It’s ridiculous that one of the greatest female wrestlers on the planet couldn’t get on the WM card.</p><h2 id="the-next-generation-is-here" class=" uppercase break-words">The N(E)XT Generation is Here</h2><p>Every year after WrestleMania, WWE calls up the best and brightest stars from NXT. Ethan Page and Sol Ruca made their debuts on Raw, while Fatal Influence was involved in two segments on SmackDown. Page looks to have found his place in the IC title picture, while Ruca stood toe-to-toe with WWE Raw Women’s Champion Liv Morgan. Meanwhile, Fatal Influence got involved in the tag team title bout before Jacy Jayne hit Rhea Ripley with her best shot. Joe Hendry is scheduled to have a concert on Raw, while Blake Monroe and Ricky Saints will be making their debuts soon.</p><h2 id="all-gas-no-breaks" class=" uppercase break-words">All Gas No Breaks</h2><p>When Roman Reigns won their first World Heavyweight Championship, fans wondered what was next for the Tribal Chief. Would it be Rock, Bron Breakker, or Oba Femi? None of the above. In the last segment of Raw, Jacob Fatu interrupted Reigns and the Usos looking for a title opportunity. It looks like WWE fans are going to see Roman Reigns vs Jacob Fatu at Backlash in Tampa. Fatu will likely lose to Reigns, but if they add a stipulation that he must join the Bloodline as a result. Things could get interesting. It’s great to see the Samoan Werewolf get his flower and confront the Tribal Chief. Let’s hope there are bigger things for him on the horizon.</p><h2 id="spring-cleaning" class=" uppercase break-words">Spring Cleaning</h2><p>There’s no easy way to put it. Days after WWE/TKO announced WrestleMania 42 was the highest-grossing event in company history, over 20 superstars were released. Most notable were Santos Escobar, Apollo Crews, Kaire Sane, Aleister Black, along with his wife, Zelina Vega, and the Wyatt Sicks. The strange part of all of this is WWE aired a vignette for the Wyatt Sicks during a SmackDown commercial break despite them being released. Something must have gotten lost in translation along the way. Fans might be under the impression that TKO is responsible for this happening, but that lies with Triple H. Hoping all the talent find another home sooner than later.</p><h2 id="returns-and-departures" class=" uppercase break-words">Returns and Departures</h2><p>We got Paige, Bron Breakker, and Street Profits back in the last week. Paige is a Women’s Tag Team champion, while Breakker is targeting Seth Rollins. The Street Profits mysteriously disappeared from WWE television but returned to take out the Vision. Here’s to hoping they take the tag titles off the Vision immediately.</p><p>On the flip side, a match planned for Backlash has been cancelled. Pat McAfee and Jelly Roll have departed from WWE on their own accord. After harsh backlash (pun fully intended), the two went to their social media platforms and announced their departure from the company. Cody Rhodes on SmackDown said, “To those outside forces that kept interceding and interjecting into my WrestleMania plans… You guys are 0-3. Send your best or count your money and mind your damn business.” He refers to WM 40, where Rock almost took his spot, WM 41 with Travis Scott, and finally Pat McAfee at WM 42. Expect a rematch between Orton and Rhodes for the belt without any shenanigans, and for Orton to win his 15th title. The American Nightmare isn’t medically cleared, so fans will have to wait and see when these two will clash.</p><p>One last thing before I forget, Tiffany Stratton is the new Women’s US champion after beating Guilia. Don’t worry if you forgot about this title; so, did Triple H and the rest of the creative team. They seem to only care about it when the belt is on Chelsea Green, who is nursing a broken foot and will be out for several months.</p><p>With new talent in the spotlight, WWE may have found its formula for success. Unfortunately, dozens have lost their jobs in the past few days. Let’s see what Triple H and co. have in store for this next chapter.</p> </div> #WrestleMania #Fallout #WWE #Shakeups #Releases #Whats #Deadspin.com

Texas Tech quarterback Brendan Sorsby has won a temporary injunction in his fight with the NCAA, and under the terms of the order issued by Judge Ken Curry in the District Court of Texas for Lubbock County, he is eligible to play for the Red Raiders during the 2026 season. Sorsby sought the injunction after the NCAA stripped the quarterback of his remaining collegiate eligibility due to multiple violations of the governing body’s gambling policy.

However, there are some caveats to that statement. Several, in fact.

The decision comes in the wake of a hearing held in the District Court of Texas for Lubbock County at the start of June. As outlined in Judge Curry’s four-page order, finding that Sorsby would suffer “a probable, imminent, and irreparable injury” if his eligibility was not reinstated, Judge Curry held that Sorsby “demonstrated a probable right to the relief he seeks on his claims for breach of contract, declaratory judgment, breach of duty of good faith and fair dealing, and breach of fiduciary duty.”

Judge Curry further ruled that Sorsby “demonstrated that the balance of equities is in his favor because of the hardship he would face in the absence of a temporary injunction.”

In the ruling, Judge Curry declared that the NCAA is barred from:

  1. Prohibiting [Sorsby] from practicing, playing, or otherwise participating on Texas Tech’s football team for the 2026 football season.
  2. Enforcing its Bylaw 12.9.4.2 (Rule of Restitution) against [Sorsby], Texas Tech, any affiliate of Texas Tech, any university that competes against Texas Tech during the 2026 college football season, or any affiliate of any such university for complying with, and relying on this Order.

First, Sorsby — through his attorneys — sought a temporary injunction, which Judge Curry granted. As Judge Curry noted in the order, the temporary injunction will be in place until the final judgment in this matter, and “until a full trial on the merits of this matter” is conducted.

Second, Judge Curry imposed six conditions that Sorsby is required to meet during the period of time the temporary injunction is in place. These include: (1) Commencing and continuing clinical counseling with a credentialed provider, focusing on relapse prevention, (2) Commencing and participating in peer support through Gamblers Anonymous or a comparable aid community, (3) Commencing and continuing treatment for Adjustment Disorder with Anxiety, to address the “underlying anxiety that served as the primary driver of [Sorsby’s] gambling behavior,” (4) Commencing and participating in athlete-specific recovery resources, (5) Not participating in game-day activities for the first two games of the Texas Tech season, and (6) Serving on the NCAA a report detailing compliance with the five previous conditions, on or before the fifth of each month during the order, to cover the previous month of compliance.

Failure of Sorsby to comply with those conditions would allow the NCAA to “apply for emergency relief from this injunction.”

The NCAA does have the right to appeal this ruling (more on that in a moment), but for now, Sorsby is reinstated, with a two-game suspension. That would mean the transfer quarterback would miss the season opener against Abilene Christian, and the game against Oregon State on September 12.

In response to Judge Curry’s order, the NCAA released this brief statement:

“The NCAA strongly disagrees with the court’s ruling in Sorsby’s case and is deeply concerned about the damaging, far-reaching and broadly destabilizing ramifications of this outcome — which undermines and corrupts the integrity of sports. The NCAA is committed to supporting student-athlete mental health but must continue to aggressively defend against actions that defraud college athletics and threaten competitive integrity, such as betting on one’s own sport.”

As to whether the NCAA would appeal this temporary injunction, it is worth noting that the governing body would face a significant hurdle with such an appeal. Specifically, the standard of review from the appellate court. In 1919 the Texas Legislature codified the right to an appeal of a temporary injunction, declaring that a party “may appeal from an interlocutory order of a district court, county court at law, statutory probate court, or county court that … grants or refuses a temporary injunction or grants or overrules a motion to dissolve a temporary injunction.” See Texas Civil Practices and Remedies Code Section 51.014(a)(4).

So while the NCAA has the right to an appeal, the problem they will face is the standard of review. Appeals of these decisions are reviewed on one standard: Abuse of discretion. Judges in temporary injunction cases are given substantial deference in deciding those matters, and to overturn the order in this case, the NCAA must convince the appellate court that Judge Curry abused that discretion, and that the ruling was arbitrary, capricious, or failed to apply the law correctly in reaching the decision.

Texas courts have defined this standard as follows: A trial court abuses its discretion if its decision is “arbitrary, unreasonable, and without reference to [any] guiding [rules and] principles” or is “so arbitrary and unreasonable as to amount to a clear and prejudicial error of law.” See Mercedes-Benz Credit Corp. v. Rhyne, 925 S.W. 2d 664 (Texas 1996) and Walker v. Packer, 827 S.W.2d 833 (Texas 1992).

To find such an abuse, the reviewing court must “determine that the facts and circumstances presented [to the trial judge] ‘extinguish any discretion [or choice] in the matter.’” See F.A. Richard & Assoc. v. Millard, 856 S.W.3d 419 (Texas App. 1993). The appellate court cannot simply substitute its own judgment for that of the trial court.

When reviewing such a case, the appellate court asks two questions: Did the trial court have sufficient information to exercise such discretion, and did the trial court err in the application of that discretion?

Simply put, an appeal by the NCAA of this ruling, given the great deference appellate courts show trial courts in these matters, seems unlikely to succeed.

Still, the ruling has many wondering if the NCAA should still appeal, even given the difficult standard the governing body would face with such an appeal:

Plus, there is the matter of precedent. If the NCAA ultimately loses on this matter, it would essentially become the “first and only American sports league to allow an athlete to compete after betting on his own games,” a point the NCAA argued in front of Judge Curry.

Sorsby admitted to placing wagers of at least $90,000 on more than 9,000 bets during his time in college, including 40 bets of at least $850 on Indiana football while he was a member of the Hoosiers. Under NCAA rules, the penalty for a player gambling on their own team is permanent ineligibility.

The NCAA could appeal and argue that the fact Sorsby admitted to those bets, in clear violation of stated NCAA rules, and yet has been reinstated under Judge Curry’s order amounts to a decision that is “legally unreasonable in the factual-legal context in which it [was] made.” See Landon v. Jean-Paul Budinger, Inc., 724 S.W.2d 931. That language has been held in Texas to overturn a trial court’s decision under the abuse of discretion standard.

Given the precedent set by this decision, the NCAA likely appeals.

But whether they succeeded on that appeal is a different story.

And while the underlying case will ultimately go to trial, that might not occur until after the 2026 season is completed.

So, for now at least, Sorsby is back on the Red Raiders for the upcoming season.

#NCAA #appeal #Brendan #Sorsbys #shocking #reinstatement #Texas #law #isnt #side">The NCAA can appeal Brendan Sorsby’s shocking reinstatement, but Texas law isn’t on their side  Texas Tech quarterback Brendan Sorsby has won a temporary injunction in his fight with the NCAA, and under the terms of the order issued by Judge Ken Curry in the District Court of Texas for Lubbock County, he is eligible to play for the Red Raiders during the 2026 season. Sorsby sought the injunction after the NCAA stripped the quarterback of his remaining collegiate eligibility due to multiple violations of the governing body’s gambling policy.However, there are some caveats to that statement. Several, in fact.The decision comes in the wake of a hearing held in the District Court of Texas for Lubbock County at the start of June. As outlined in Judge Curry’s four-page order, finding that Sorsby would suffer “a probable, imminent, and irreparable injury” if his eligibility was not reinstated, Judge Curry held that Sorsby “demonstrated a probable right to the relief he seeks on his claims for breach of contract, declaratory judgment, breach of duty of good faith and fair dealing, and breach of fiduciary duty.”Judge Curry further ruled that Sorsby “demonstrated that the balance of equities is in his favor because of the hardship he would face in the absence of a temporary injunction.”In the ruling, Judge Curry declared that the NCAA is barred from:Prohibiting [Sorsby] from practicing, playing, or otherwise participating on Texas Tech’s football team for the 2026 football season.Enforcing its Bylaw 12.9.4.2 (Rule of Restitution) against [Sorsby], Texas Tech, any affiliate of Texas Tech, any university that competes against Texas Tech during the 2026 college football season, or any affiliate of any such university for complying with, and relying on this Order.First, Sorsby — through his attorneys — sought a temporary injunction, which Judge Curry granted. As Judge Curry noted in the order, the temporary injunction will be in place until the final judgment in this matter, and “until a full trial on the merits of this matter” is conducted.Second, Judge Curry imposed six conditions that Sorsby is required to meet during the period of time the temporary injunction is in place. These include: (1) Commencing and continuing clinical counseling with a credentialed provider, focusing on relapse prevention, (2) Commencing and participating in peer support through Gamblers Anonymous or a comparable aid community, (3) Commencing and continuing treatment for Adjustment Disorder with Anxiety, to address the “underlying anxiety that served as the primary driver of [Sorsby’s] gambling behavior,” (4) Commencing and participating in athlete-specific recovery resources, (5) Not participating in game-day activities for the first two games of the Texas Tech season, and (6) Serving on the NCAA a report detailing compliance with the five previous conditions, on or before the fifth of each month during the order, to cover the previous month of compliance.Failure of Sorsby to comply with those conditions would allow the NCAA to “apply for emergency relief from this injunction.”The NCAA does have the right to appeal this ruling (more on that in a moment), but for now, Sorsby is reinstated, with a two-game suspension. That would mean the transfer quarterback would miss the season opener against Abilene Christian, and the game against Oregon State on September 12.In response to Judge Curry’s order, the NCAA released this brief statement:“The NCAA strongly disagrees with the court’s ruling in Sorsby’s case and is deeply concerned about the damaging, far-reaching and broadly destabilizing ramifications of this outcome — which undermines and corrupts the integrity of sports. The NCAA is committed to supporting student-athlete mental health but must continue to aggressively defend against actions that defraud college athletics and threaten competitive integrity, such as betting on one’s own sport.”As to whether the NCAA would appeal this temporary injunction, it is worth noting that the governing body would face a significant hurdle with such an appeal. Specifically, the standard of review from the appellate court. In 1919 the Texas Legislature codified the right to an appeal of a temporary injunction, declaring that a party “may appeal from an interlocutory order of a district court, county court at law, statutory probate court, or county court that … grants or refuses a temporary injunction or grants or overrules a motion to dissolve a temporary injunction.” See Texas Civil Practices and Remedies Code Section 51.014(a)(4).So while the NCAA has the right to an appeal, the problem they will face is the standard of review. Appeals of these decisions are reviewed on one standard: Abuse of discretion. Judges in temporary injunction cases are given substantial deference in deciding those matters, and to overturn the order in this case, the NCAA must convince the appellate court that Judge Curry abused that discretion, and that the ruling was arbitrary, capricious, or failed to apply the law correctly in reaching the decision.Texas courts have defined this standard as follows: A trial court abuses its discretion if its decision is “arbitrary, unreasonable, and without reference to [any] guiding [rules and] principles” or is “so arbitrary and unreasonable as to amount to a clear and prejudicial error of law.” See Mercedes-Benz Credit Corp. v. Rhyne, 925 S.W. 2d 664 (Texas 1996) and Walker v. Packer, 827 S.W.2d 833 (Texas 1992).To find such an abuse, the reviewing court must “determine that the facts and circumstances presented [to the trial judge] ‘extinguish any discretion [or choice] in the matter.’” See F.A. Richard & Assoc. v. Millard, 856 S.W.3d 419 (Texas App. 1993). The appellate court cannot simply substitute its own judgment for that of the trial court.When reviewing such a case, the appellate court asks two questions: Did the trial court have sufficient information to exercise such discretion, and did the trial court err in the application of that discretion?Simply put, an appeal by the NCAA of this ruling, given the great deference appellate courts show trial courts in these matters, seems unlikely to succeed.Still, the ruling has many wondering if the NCAA should still appeal, even given the difficult standard the governing body would face with such an appeal:Plus, there is the matter of precedent. If the NCAA ultimately loses on this matter, it would essentially become the “first and only American sports league to allow an athlete to compete after betting on his own games,” a point the NCAA argued in front of Judge Curry.Sorsby admitted to placing wagers of at least $90,000 on more than 9,000 bets during his time in college, including 40 bets of at least $850 on Indiana football while he was a member of the Hoosiers. Under NCAA rules, the penalty for a player gambling on their own team is permanent ineligibility.The NCAA could appeal and argue that the fact Sorsby admitted to those bets, in clear violation of stated NCAA rules, and yet has been reinstated under Judge Curry’s order amounts to a decision that is “legally unreasonable in the factual-legal context in which it [was] made.” See Landon v. Jean-Paul Budinger, Inc., 724 S.W.2d 931. That language has been held in Texas to overturn a trial court’s decision under the abuse of discretion standard.Given the precedent set by this decision, the NCAA likely appeals.But whether they succeeded on that appeal is a different story.And while the underlying case will ultimately go to trial, that might not occur until after the 2026 season is completed.So, for now at least, Sorsby is back on the Red Raiders for the upcoming season.  #NCAA #appeal #Brendan #Sorsbys #shocking #reinstatement #Texas #law #isnt #side

Brendan Sorsby has won a temporary injunction in his fight with the NCAA, and under the terms of the order issued by Judge Ken Curry in the District Court of Texas for Lubbock County, he is eligible to play for the Red Raiders during the 2026 season. Sorsby sought the injunction after the NCAA stripped the quarterback of his remaining collegiate eligibility due to multiple violations of the governing body’s gambling policy.

However, there are some caveats to that statement. Several, in fact.

The decision comes in the wake of a hearing held in the District Court of Texas for Lubbock County at the start of June. As outlined in Judge Curry’s four-page order, finding that Sorsby would suffer “a probable, imminent, and irreparable injury” if his eligibility was not reinstated, Judge Curry held that Sorsby “demonstrated a probable right to the relief he seeks on his claims for breach of contract, declaratory judgment, breach of duty of good faith and fair dealing, and breach of fiduciary duty.”

Judge Curry further ruled that Sorsby “demonstrated that the balance of equities is in his favor because of the hardship he would face in the absence of a temporary injunction.”

In the ruling, Judge Curry declared that the NCAA is barred from:

  1. Prohibiting [Sorsby] from practicing, playing, or otherwise participating on Texas Tech’s football team for the 2026 football season.
  2. Enforcing its Bylaw 12.9.4.2 (Rule of Restitution) against [Sorsby], Texas Tech, any affiliate of Texas Tech, any university that competes against Texas Tech during the 2026 college football season, or any affiliate of any such university for complying with, and relying on this Order.

First, Sorsby — through his attorneys — sought a temporary injunction, which Judge Curry granted. As Judge Curry noted in the order, the temporary injunction will be in place until the final judgment in this matter, and “until a full trial on the merits of this matter” is conducted.

Second, Judge Curry imposed six conditions that Sorsby is required to meet during the period of time the temporary injunction is in place. These include: (1) Commencing and continuing clinical counseling with a credentialed provider, focusing on relapse prevention, (2) Commencing and participating in peer support through Gamblers Anonymous or a comparable aid community, (3) Commencing and continuing treatment for Adjustment Disorder with Anxiety, to address the “underlying anxiety that served as the primary driver of [Sorsby’s] gambling behavior,” (4) Commencing and participating in athlete-specific recovery resources, (5) Not participating in game-day activities for the first two games of the Texas Tech season, and (6) Serving on the NCAA a report detailing compliance with the five previous conditions, on or before the fifth of each month during the order, to cover the previous month of compliance.

Failure of Sorsby to comply with those conditions would allow the NCAA to “apply for emergency relief from this injunction.”

The NCAA does have the right to appeal this ruling (more on that in a moment), but for now, Sorsby is reinstated, with a two-game suspension. That would mean the transfer quarterback would miss the season opener against Abilene Christian, and the game against Oregon State on September 12.

In response to Judge Curry’s order, the NCAA released this brief statement:

“The NCAA strongly disagrees with the court’s ruling in Sorsby’s case and is deeply concerned about the damaging, far-reaching and broadly destabilizing ramifications of this outcome — which undermines and corrupts the integrity of sports. The NCAA is committed to supporting student-athlete mental health but must continue to aggressively defend against actions that defraud college athletics and threaten competitive integrity, such as betting on one’s own sport.”

As to whether the NCAA would appeal this temporary injunction, it is worth noting that the governing body would face a significant hurdle with such an appeal. Specifically, the standard of review from the appellate court. In 1919 the Texas Legislature codified the right to an appeal of a temporary injunction, declaring that a party “may appeal from an interlocutory order of a district court, county court at law, statutory probate court, or county court that … grants or refuses a temporary injunction or grants or overrules a motion to dissolve a temporary injunction.” See Texas Civil Practices and Remedies Code Section 51.014(a)(4).

So while the NCAA has the right to an appeal, the problem they will face is the standard of review. Appeals of these decisions are reviewed on one standard: Abuse of discretion. Judges in temporary injunction cases are given substantial deference in deciding those matters, and to overturn the order in this case, the NCAA must convince the appellate court that Judge Curry abused that discretion, and that the ruling was arbitrary, capricious, or failed to apply the law correctly in reaching the decision.

Texas courts have defined this standard as follows: A trial court abuses its discretion if its decision is “arbitrary, unreasonable, and without reference to [any] guiding [rules and] principles” or is “so arbitrary and unreasonable as to amount to a clear and prejudicial error of law.” See Mercedes-Benz Credit Corp. v. Rhyne, 925 S.W. 2d 664 (Texas 1996) and Walker v. Packer, 827 S.W.2d 833 (Texas 1992).

To find such an abuse, the reviewing court must “determine that the facts and circumstances presented [to the trial judge] ‘extinguish any discretion [or choice] in the matter.’” See F.A. Richard & Assoc. v. Millard, 856 S.W.3d 419 (Texas App. 1993). The appellate court cannot simply substitute its own judgment for that of the trial court.

When reviewing such a case, the appellate court asks two questions: Did the trial court have sufficient information to exercise such discretion, and did the trial court err in the application of that discretion?

Simply put, an appeal by the NCAA of this ruling, given the great deference appellate courts show trial courts in these matters, seems unlikely to succeed.

Still, the ruling has many wondering if the NCAA should still appeal, even given the difficult standard the governing body would face with such an appeal:

Plus, there is the matter of precedent. If the NCAA ultimately loses on this matter, it would essentially become the “first and only American sports league to allow an athlete to compete after betting on his own games,” a point the NCAA argued in front of Judge Curry.

Sorsby admitted to placing wagers of at least $90,000 on more than 9,000 bets during his time in college, including 40 bets of at least $850 on Indiana football while he was a member of the Hoosiers. Under NCAA rules, the penalty for a player gambling on their own team is permanent ineligibility.

The NCAA could appeal and argue that the fact Sorsby admitted to those bets, in clear violation of stated NCAA rules, and yet has been reinstated under Judge Curry’s order amounts to a decision that is “legally unreasonable in the factual-legal context in which it [was] made.” See Landon v. Jean-Paul Budinger, Inc., 724 S.W.2d 931. That language has been held in Texas to overturn a trial court’s decision under the abuse of discretion standard.

Given the precedent set by this decision, the NCAA likely appeals.

But whether they succeeded on that appeal is a different story.

And while the underlying case will ultimately go to trial, that might not occur until after the 2026 season is completed.

So, for now at least, Sorsby is back on the Red Raiders for the upcoming season.

#NCAA #appeal #Brendan #Sorsbys #shocking #reinstatement #Texas #law #isnt #side">The NCAA can appeal Brendan Sorsby’s shocking reinstatement, but Texas law isn’t on their side

Texas Tech quarterback Brendan Sorsby has won a temporary injunction in his fight with the NCAA, and under the terms of the order issued by Judge Ken Curry in the District Court of Texas for Lubbock County, he is eligible to play for the Red Raiders during the 2026 season. Sorsby sought the injunction after the NCAA stripped the quarterback of his remaining collegiate eligibility due to multiple violations of the governing body’s gambling policy.

However, there are some caveats to that statement. Several, in fact.

The decision comes in the wake of a hearing held in the District Court of Texas for Lubbock County at the start of June. As outlined in Judge Curry’s four-page order, finding that Sorsby would suffer “a probable, imminent, and irreparable injury” if his eligibility was not reinstated, Judge Curry held that Sorsby “demonstrated a probable right to the relief he seeks on his claims for breach of contract, declaratory judgment, breach of duty of good faith and fair dealing, and breach of fiduciary duty.”

Judge Curry further ruled that Sorsby “demonstrated that the balance of equities is in his favor because of the hardship he would face in the absence of a temporary injunction.”

In the ruling, Judge Curry declared that the NCAA is barred from:

  1. Prohibiting [Sorsby] from practicing, playing, or otherwise participating on Texas Tech’s football team for the 2026 football season.
  2. Enforcing its Bylaw 12.9.4.2 (Rule of Restitution) against [Sorsby], Texas Tech, any affiliate of Texas Tech, any university that competes against Texas Tech during the 2026 college football season, or any affiliate of any such university for complying with, and relying on this Order.

First, Sorsby — through his attorneys — sought a temporary injunction, which Judge Curry granted. As Judge Curry noted in the order, the temporary injunction will be in place until the final judgment in this matter, and “until a full trial on the merits of this matter” is conducted.

Second, Judge Curry imposed six conditions that Sorsby is required to meet during the period of time the temporary injunction is in place. These include: (1) Commencing and continuing clinical counseling with a credentialed provider, focusing on relapse prevention, (2) Commencing and participating in peer support through Gamblers Anonymous or a comparable aid community, (3) Commencing and continuing treatment for Adjustment Disorder with Anxiety, to address the “underlying anxiety that served as the primary driver of [Sorsby’s] gambling behavior,” (4) Commencing and participating in athlete-specific recovery resources, (5) Not participating in game-day activities for the first two games of the Texas Tech season, and (6) Serving on the NCAA a report detailing compliance with the five previous conditions, on or before the fifth of each month during the order, to cover the previous month of compliance.

Failure of Sorsby to comply with those conditions would allow the NCAA to “apply for emergency relief from this injunction.”

The NCAA does have the right to appeal this ruling (more on that in a moment), but for now, Sorsby is reinstated, with a two-game suspension. That would mean the transfer quarterback would miss the season opener against Abilene Christian, and the game against Oregon State on September 12.

In response to Judge Curry’s order, the NCAA released this brief statement:

“The NCAA strongly disagrees with the court’s ruling in Sorsby’s case and is deeply concerned about the damaging, far-reaching and broadly destabilizing ramifications of this outcome — which undermines and corrupts the integrity of sports. The NCAA is committed to supporting student-athlete mental health but must continue to aggressively defend against actions that defraud college athletics and threaten competitive integrity, such as betting on one’s own sport.”

As to whether the NCAA would appeal this temporary injunction, it is worth noting that the governing body would face a significant hurdle with such an appeal. Specifically, the standard of review from the appellate court. In 1919 the Texas Legislature codified the right to an appeal of a temporary injunction, declaring that a party “may appeal from an interlocutory order of a district court, county court at law, statutory probate court, or county court that … grants or refuses a temporary injunction or grants or overrules a motion to dissolve a temporary injunction.” See Texas Civil Practices and Remedies Code Section 51.014(a)(4).

So while the NCAA has the right to an appeal, the problem they will face is the standard of review. Appeals of these decisions are reviewed on one standard: Abuse of discretion. Judges in temporary injunction cases are given substantial deference in deciding those matters, and to overturn the order in this case, the NCAA must convince the appellate court that Judge Curry abused that discretion, and that the ruling was arbitrary, capricious, or failed to apply the law correctly in reaching the decision.

Texas courts have defined this standard as follows: A trial court abuses its discretion if its decision is “arbitrary, unreasonable, and without reference to [any] guiding [rules and] principles” or is “so arbitrary and unreasonable as to amount to a clear and prejudicial error of law.” See Mercedes-Benz Credit Corp. v. Rhyne, 925 S.W. 2d 664 (Texas 1996) and Walker v. Packer, 827 S.W.2d 833 (Texas 1992).

To find such an abuse, the reviewing court must “determine that the facts and circumstances presented [to the trial judge] ‘extinguish any discretion [or choice] in the matter.’” See F.A. Richard & Assoc. v. Millard, 856 S.W.3d 419 (Texas App. 1993). The appellate court cannot simply substitute its own judgment for that of the trial court.

When reviewing such a case, the appellate court asks two questions: Did the trial court have sufficient information to exercise such discretion, and did the trial court err in the application of that discretion?

Simply put, an appeal by the NCAA of this ruling, given the great deference appellate courts show trial courts in these matters, seems unlikely to succeed.

Still, the ruling has many wondering if the NCAA should still appeal, even given the difficult standard the governing body would face with such an appeal:

Plus, there is the matter of precedent. If the NCAA ultimately loses on this matter, it would essentially become the “first and only American sports league to allow an athlete to compete after betting on his own games,” a point the NCAA argued in front of Judge Curry.

Sorsby admitted to placing wagers of at least $90,000 on more than 9,000 bets during his time in college, including 40 bets of at least $850 on Indiana football while he was a member of the Hoosiers. Under NCAA rules, the penalty for a player gambling on their own team is permanent ineligibility.

The NCAA could appeal and argue that the fact Sorsby admitted to those bets, in clear violation of stated NCAA rules, and yet has been reinstated under Judge Curry’s order amounts to a decision that is “legally unreasonable in the factual-legal context in which it [was] made.” See Landon v. Jean-Paul Budinger, Inc., 724 S.W.2d 931. That language has been held in Texas to overturn a trial court’s decision under the abuse of discretion standard.

Given the precedent set by this decision, the NCAA likely appeals.

But whether they succeeded on that appeal is a different story.

And while the underlying case will ultimately go to trial, that might not occur until after the 2026 season is completed.

So, for now at least, Sorsby is back on the Red Raiders for the upcoming season.

#NCAA #appeal #Brendan #Sorsbys #shocking #reinstatement #Texas #law #isnt #side

Fiorentina has appointed former Italy defender Fabio Grosso ​as manager, the Serie A club ‌said on Monday, with the ​48-year-old signing a ⁠two-year contract.

Grosso, who scored the winning penalty for Italy in the shootout ‌win over France at the 2006 World Cup final, ‌began his managerial career ‌in ⁠Serie B with Bari and ⁠Hellas Verona before taking charge of Brescia, Sion, Frosinone and Olympique Lyonnais.

His ​last role came ‌at Sassuolo, where he won promotion in his first campaign, and after guiding it to ‌mid-table safety in Serie A ​last season, Grosso left the club by mutual ⁠agreement on Thursday.

ALSO READ | Denmark’s Eriksen in ‘good spirits’ after collapsing during friendly

“I never like to make promises,” Grosso said in ‌a Fiorentina statement, “but aware of the responsibilities that await me, I immediately feel I can guarantee seriousness, professionalism and involvement in building a team ‌that has courage and ambition.”

Fiorentina battled ​relegation in the most recent campaign, with Stefano Pioli ⁠sacked in November after a 10-game ⁠winless start. Paolo Vanoli took over and led it to a 15th-place finish before departing the club on ​Friday.

Published on Jun 08, 2026

#Fiorentina #appoints #World #Cup #winner #Fabio #Grosso #manager">Fiorentina appoints former World Cup winner Fabio Grosso as manager  Fiorentina has appointed former Italy defender Fabio Grosso ​as manager, the Serie A club ‌said on Monday, with the ​48-year-old signing a ⁠two-year contract.Grosso, who scored the winning penalty for Italy in the shootout ‌win over France at the 2006 World Cup final, ‌began his managerial career ‌in ⁠Serie B with Bari and ⁠Hellas Verona before taking charge of Brescia, Sion, Frosinone and Olympique Lyonnais.His ​last role came ‌at Sassuolo, where he won promotion in his first campaign, and after guiding it to ‌mid-table safety in Serie A ​last season, Grosso left the club by mutual ⁠agreement on Thursday.ALSO READ | Denmark’s Eriksen in ‘good spirits’ after collapsing during friendly“I never like to make promises,” Grosso said in ‌a Fiorentina statement, “but aware of the responsibilities that await me, I immediately feel I can guarantee seriousness, professionalism and involvement in building a team ‌that has courage and ambition.”Fiorentina battled ​relegation in the most recent campaign, with Stefano Pioli ⁠sacked in November after a 10-game ⁠winless start. Paolo Vanoli took over and led it to a 15th-place finish before departing the club on ​Friday.Published on Jun 08, 2026  #Fiorentina #appoints #World #Cup #winner #Fabio #Grosso #manager

Denmark’s Eriksen in ‘good spirits’ after collapsing during friendly

“I never like to make promises,” Grosso said in ‌a Fiorentina statement, “but aware of the responsibilities that await me, I immediately feel I can guarantee seriousness, professionalism and involvement in building a team ‌that has courage and ambition.”

Fiorentina battled ​relegation in the most recent campaign, with Stefano Pioli ⁠sacked in November after a 10-game ⁠winless start. Paolo Vanoli took over and led it to a 15th-place finish before departing the club on ​Friday.

Published on Jun 08, 2026

#Fiorentina #appoints #World #Cup #winner #Fabio #Grosso #manager">Fiorentina appoints former World Cup winner Fabio Grosso as manager

Fiorentina has appointed former Italy defender Fabio Grosso ​as manager, the Serie A club ‌said on Monday, with the ​48-year-old signing a ⁠two-year contract.

Grosso, who scored the winning penalty for Italy in the shootout ‌win over France at the 2006 World Cup final, ‌began his managerial career ‌in ⁠Serie B with Bari and ⁠Hellas Verona before taking charge of Brescia, Sion, Frosinone and Olympique Lyonnais.

His ​last role came ‌at Sassuolo, where he won promotion in his first campaign, and after guiding it to ‌mid-table safety in Serie A ​last season, Grosso left the club by mutual ⁠agreement on Thursday.

ALSO READ | Denmark’s Eriksen in ‘good spirits’ after collapsing during friendly

“I never like to make promises,” Grosso said in ‌a Fiorentina statement, “but aware of the responsibilities that await me, I immediately feel I can guarantee seriousness, professionalism and involvement in building a team ‌that has courage and ambition.”

Fiorentina battled ​relegation in the most recent campaign, with Stefano Pioli ⁠sacked in November after a 10-game ⁠winless start. Paolo Vanoli took over and led it to a 15th-place finish before departing the club on ​Friday.

Published on Jun 08, 2026

#Fiorentina #appoints #World #Cup #winner #Fabio #Grosso #manager

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