Cavanaugh v. Geballe
Brian Cavanaugh |
Josh Geballe |
3:2020cv00981 |
July 15, 2020 |
US District Court for the District of Connecticut |
Kari A Dooley |
Civil Rights: Other |
42 U.S.C. § 1983 |
None |
Docket Report
This docket was last retrieved on March 11, 2024. A more recent docket listing may be available from PACER.
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Filing 17 ORDER granting on consent #16 Motion to Seal. The Court finds a clear and compelling reason for the sealing and redacting insofar as the Defendant's Memorandum in Support of his #14 Motion to Dismiss and the exhibits attached thereto contain information from which Plaintiff's personal medical and health information might be gleaned. The Court further finds that the proposed sealing is narrowly tailored to address this privacy interest. Signed by Judge Kari A. Dooley on 9/11/2020. (D'Amato, Joseph) |
Filing 16 SEALED MOTION to Seal by Josh Geballe. (Fanelle, N.) |
Filing 15 Sealed Document: Memorandum by Josh Geballe to #14 MOTION to Dismiss for Lack of Jurisdiction. (Attachments: #1 Exhibits, #2 Envelope) (Fanelle, N.) |
Filing 14 MOTION to Dismiss for Lack of Jurisdiction with Certification of Service by Josh Geballe.Responses due by 9/23/2020 (Attachments: #1 Memorandum in Support of Motion to Dismiss - REDACTED - (unredacted version filed under seal), #2 List of Exhibits to Defendant's Motion to Dismiss, #3 Exhibit 1 - REDACTED DAS Lien Letter, #4 Exhibit 2 - EXCERPTS - DAS Correspondence (full document filed under seal), #5 Exhibit 3 - REDACTED - Certified Probate Order and Decree, #6 Exhibit 4 - Probate Court Document Log, #7 Exhibit 5 - REDACTED - Certified copy of Plaintiff's Request of Probate Court, #8 Exhibit 6 - EXCERPTS - CMS State Medical Manual 4390 (full exhibit filed under seal))(Santos, Maria) |
Filing 13 ORDER denying #11 Motion to Stay with prejudice as to the parties' Rule 26(f) obligations and without prejudice as to discovery and other deadlines. As ordered in this Court's #2 July 15, 2020 Order on Pretrial Deadlines, "[t]he filing of a motion to dismiss shall not result in a stay of discovery or extend the time for completing discovery." (emphasis added). Accordingly, it is generally not the practice of this Court to stay discovery upon the filing of a motion to dismiss. See also Kollar v. Allstate Ins. Co., No. 3:16-CV-01927 (VAB), 2017 WL 10992213, at *1 (D. Conn. Nov. 6, 2017) ("[T]his Court's regular practice normally requires the parties to commence discovery, even while a motion to dismiss is pending."). However, the Court shall, sua sponte, reconsider the issue of staying discovery and other deadlines once the anticipated motion to dismiss is fully briefed. The parties' Rule 26(f) Report shall be filed on or before September 18, 2020. Signed by Judge Kari A. Dooley on 8/21/2020. (D'Amato, Joseph) |
Filing 12 OBJECTION to #11 MOTION to Stay filed by Brian Cavanaugh. (Watts, John) Modified on 8/21/2020 to update docket text (Fanelle, N.). |
Filing 11 MOTION to Stay the Parties Rule 26(f) Requirements, Including Discovery and Certificate of Electronic Filing by Josh Geballe.Responses due by 9/9/2020 (Santos, Maria) |
Filing 10 ORDER granting on consent #9 Motion for Extension of Time. Defendant shall respond to the complaint on or before September 8, 2020. Signed by Judge Kari A. Dooley on 8/3/2020. (D'Amato, Joseph) |
Filing 9 First MOTION for Extension of Time until September 8, 2020with Certificate of Electronic Filing to File Responsive Pleading to Complaint #1 Complaint by Josh Geballe. (Santos, Maria) |
Filing 8 NOTICE of Appearance by Maria A. Santos on behalf of Josh Geballe with Certificate of Electronic Filing (Santos, Maria) |
Answer deadline updated for Defendant to 9/8/2020. (D'Amato, Joseph) |
Answer deadline updated for Josh Geballe to 8/7/2020. (Fanelle, N.) |
Filing 7 AFFIDAVIT of Service for Summons, Complaint and Notices served on Josh Geballe, in his Official Capacity on 07/17/2020, filed by Brian Cavanaugh. (Watts, John) |
Filing 6 ELECTRONIC SUMMONS ISSUED in accordance with Fed. R. Civ. P. 4 and LR 4 as to *Josh Geballe* with answer to complaint due within *21* days. Attorney *John D. Watts, Attorney* *186 East Main St.* *Clinton, CT 06413* (Fazekas, J.) |
Filing 5 NOTICE TO COUNSEL/SELF-REPRESENTED PARTIES : Counsel or self-represented parties initiating or removing this action are responsible for serving all parties with attached documents and copies of #4 Standing Protective Order, #2 Order on Pretrial Deadlines, #3 Electronic Filing Order, #1 Complaint filed by Brian Cavanaugh Signed by Clerk on 0716/2020.(Fazekas, J.) |
Filing 4 STANDING PROTECTIVE ORDER Signed by Judge Kari A. Dooley on 07/15/2020.(Fazekas, J.) |
Filing 3 ELECTRONIC FILING ORDER FOR COUNSEL - PLEASE ENSURE COMPLIANCE WITH COURTESY COPY REQUIREMENTS IN THIS ORDER Signed by Judge Kari A. Dooley on 07/15/2020.(Fazekas, J.) |
Filing 2 Order on Pretrial Deadlines: Amended Pleadings due by 9/13/2020. Discovery due by 1/14/2021. Dispositive Motions due by 2/18/2021. Signed by Clerk on 7/15/2020.(Fazekas, J.) |
Filing 1 COMPLAINT against Josh Geballe ( Filing fee $400 receipt number ACTDC-5974420.), filed by Brian Cavanaugh. (Attachments: #1 Civil Cover Sheet)(Watts, John) |
Request for Clerk to issue summons as to Josh Geballe. (Watts, John) |
Judge Kari A. Dooley added. (Nuzzi, Tiffany) |
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Plaintiff: Brian Cavanaugh | |
Represented By: | John D. Watts |
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Defendant: Josh Geballe | |
Represented By: | Maria A. Santos |
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