Jesse J Smith, et al v. Alaska Airlines Inc, et al
Jesse J Smith, Holly A Smith and Richard J Smith |
Alaska Airlines Inc, McDonnell Douglas Corporation, Boeing Company, Trig Holding Inc, Does 1-10, National Transportation Safety Board, Equilon Enterprises LLC, James Hall and United States of America |
2:2000cv05407 |
May 18, 2000 |
US District Court for the Central District of California |
Stephen J Hillman |
Consuelo B Marshall |
Airplane Product Liability |
28 U.S.C. § 1332 |
Plaintiff |
Docket Report
This docket was last retrieved on October 8, 2004. A more recent docket listing may be available from PACER.
Document Text |
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Filing 208 Receipt of transmittal letter from USDC Northern District of CA. Assigning their case number C 04-4239 (CRB). (bg, ) |
Filing 207 DECLARATION of Frank M Pitre filed by Plaintiff Jesse J Smith. (bg, ) |
TRANSMITTAL of documents to USDC Northern District of California, San Francisco, entire original case file, certified copy of transfer order, docket and letter of transfer (2 Boxes, 9 volumes of documents) (lc, ) |
Filing 205 ORDER transferring case to NORTHERN DISTRICT OF CALIFORNIA: This Court's order of 9/27/04 denied defendants motion to transfer without prejudice and reserved its discretion to transfer if circumstances change, such that the Northern District is available to try case before this Court is able to do so; trial is scheduled on 11/20/04, however, the Court is now unable to commence trial on that date; Judge Breyer has indicated to this Court that he is able to try the case earlier and keep currently schedule date; therefore the Court orders the case transferred to the Northern District by Judge Consuelo B. Marshall (Made JS-6. Case Terminated.)(lc, ) |
Filing 206 NOTICE OF DISCREPANCY AND ORDER: by Judge Consuelo B. Marshall, ORDERING Plaintiff Notice of lodging of documents under seal, One copy of DVD submitted by Plaintiff Holly A Smith received on 9/22/04 is not to be filed but instead rejected. Denial based on: No Protective Order on docket to date.(ir ) ***Document was forwarded to USDC Northern District of San Francisco on 10/14/04** Modified on 10/14/2004 (ir, ). |
Filing 204 DECLARATION of Brian J Pannish for approval of subtitution of attorney filed by Plaintiff Jesse J Smith. (lc, ) |
Filing 203 MINUTES: Court on own motin, all in limine motions are submitted without oral argument by Judge Consuelo B. Marshall Court Reporter: none. (lc, ) |
Filing 202 REPLY to response to MOTION IN LIMINE #4 of 4 to Bar reference to collateral sources 147 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith.Lodged order (lc, ) Modified on 9/16/2004 (lc, ). |
Filing 201 REPLY to response to MOTION IN LIMINE #3 of 4 to Bar reference to Defendants' "apologies" for the crash of Alaska Airlines flight 261 and the death of Joan Smith 146 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith.Lodged order (lc, ) |
Filing 200 REPLY to response to MOTION IN LIMINE #2 of 4 to Bar reference to any prior bad acts of Joan Smith, Jesse Smith, Holly Smith and Richard Smith 145 filed by plaintiff Holly A Smith, Jesse J Smith, Richard J Smith. Lodged order (lc, ) Modified on 9/16/2004 (lc, ). |
Filing 199 REPLY to response to MOTION IN LIMINE #1 of 4 to Bar reference toJoan Smith's final will and testament 144 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. Lodged order (lc, ) |
Filing 198 PROOF OF SERVICE re replys and declarations in support of replys as to motions in limine 1-10 186 187 188 189 190 191 192 193 194 183 184 185 189 190 191 192 193 195 196 197 served on 9/13/04 by overnight delivery filed by defendants Alaska Airlines Inc, Boeing Company McDonnell Douglas Corporation (lc, ) |
Filing 197 OBJECTIONS TO DECLARATION OF PLAINTIFF EXPERT FRANK R GRAHAM JRregarding admissibility of plaintiffs animation and cockpit voice recorder tape 123 119 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 196 REPLY to response to MOTION IN LIMINE #10 of 10 to Preclude evidence regarding decedent's relationship with her former husband 139 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 195 SUPPLEMENTAL DECLARATION of Don G Rushing in support re MOTION IN LIMINE #9 of 10 to Exclude testimony of plaintiff's expert Patrick Mason 136 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 194 REPLY to response to MOTION IN LIMINE #9 of 10 to Exclude testimony of plaintiff's expert Patrick Mason 136 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 193 SUPPLEMENTAL DECLARATION of Don G Rushin in support re MOTION IN LIMINE #8 of 10 to Preclude trial participation by previously dismissed plaintiffs and to limit trialparticipation by multiple plaintiff's counsel 133 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 192 REPLY to response to MOTION IN LIMINE #8 of 10 to Preclude trial participation by previously dismissed plaintiffs and to limit trialparticipation by multiple plaintiff's counsel 133 ; OPPOSITION TO ALTERNATIVE cROSS MOTION FOR LEAVE TO INTERVENE filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) Modified on 9/16/2004 (lc, ). |
Filing 191 REPLY to response to MOTION IN LIMINE #7 of 10 to Exclude evidence of or reference to litigation conduct 131 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 190 DECLARATION of Don G Rushin in support of reply in support re MOTION IN LIMINE #6 of 10 to Preclude lump sum and per diem arguments regarding non-economic damages 127 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 189 REPLY to response to MOTION IN LIMINE #6 of 10 to Preclude lump sum and per diem arguments regarding non-economic damages 127 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 188 REPLY to response to MOTION IN LIMINE #5 of 10 to Exclude admission of plaintiff's animation and related expert witness testimony 123 filed by defendant Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 187 REPLY to response to MOTION IN LIMINE #4 of 10 to Exclude admission of the cockpit voice recorder tape and related expert witness testimony 119 filed by defendant Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 186 DECLARATION of Robert D Banks, B Eng MD in support of reply re MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy 114 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 185 REPLY to response to MOTION IN LIMINE #3 of 4 to Bar reference to Defendants' "apologies" for the crash of Alaska Airlines flight 261 and the death of Joan Smith 146 , MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy 114 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 184 REPLY to response to MOTION IN LIMINE #2 of 10 to Preclude the testimony of plaintiff's expert Jeffrey Augenstein 110 filed by defendants Alaska Airlines,Boeing Company, McDonnell Douglas Corporation. (lc, ) Modified on 9/15/2004 (lc, ). |
Filing 183 REPLY to response to MOTION IN LIMINE #1 of 10 to Exclude evidence of pre-death emotional distress, pain and suffering 107 filed by defendants Alaska Airlines, Boeing Company, McDonnell Douglas Corporation. (lc, ) Modified on 9/15/2004 (lc, ). |
Filing 182 Substitution of Attorney filed. Substituting attorney Laurence E Drivon for Richard J Smith in place and stead of attorney Joseph W Carcione by Judge Consuelo B. Marshall. (lc, ) |
Filing 181 DECLARATION of Laurence E Drivon filed by Plaintiff Richard J Smith. (ir ) |
Filing 180 PROOF OF SERVICE filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. Served oppositions; declartations upon Don G Rushing and Robert F Scoular by mail and federal express on 8/30/04. (bg, ) |
Filing 179 DECLARATION of George Clarke, PH.D P E re MOTION IN LIMINE #5 of 10 to Exclude admission of plaintiff's animation and related expert witness testimony 123 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 178 DECLARATION of Frank R Graham, Jr re MOTION IN LIMINE #4 of 10 to Exclude admission of the cockpit voice recorder tape and related expert witness testimony 119 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 177 DECLARATION of Richard Levy MD., M P H re MOTION IN LIMINE #5 of 10 to Exclude admission of plaintiff's animation and related expert witness testimony 123 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 176 DECLARATION of Joseph W Carcione, Jr., Counsel in support of opposition re MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy 114 and Alternative Cross-Motion for Evidentiary Hearing filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 175 STATEMENT of non-opposition to defendants re MOTION IN LIMINE #7 of 10 to Exclude evidence of or reference to litigation conduct 131 and Cross Motion for Equivalent Relief. filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 174 DECLARATION of Brian J Panish, esq in support of plaintiffs opposition re MOTION IN LIMINE #8 of 10 to Preclude trial participation by previously dismissed plaintiffs and to limit trial participation by multiple plaintiff's counsel 133 and Alternative Cross-Motion for Leave to Intervene by Individual Heirs filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 173 OPPOSITION to MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy 114 and Alternative Cross-Motion for Evidentiary Hearing. filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 172 OPPOSITION to MOTION IN LIMINE #8 of 10 to Preclude trial participation by previously dismissed plaintiffs and to limit trial participation by multiple plaintiff's counsel 133 and Alternative Cross-Motion for Leave to Intervene by Individual Heirs. filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 171 DECLARATION of Joseph W Carcione Jr, Counsel in support of opposition re MOTION IN LIMINE #4 of 10 to Exclude admission of the cockpit voice recorder tape and related expert witness testimony 119 and Alternative Cross-Motion for Evidentiary Hearing. filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 170 DECLARATION of Joseph W Carcione Jr, Counsel re MOTION IN LIMINE #2 of 10 to Preclude the testimony of plaintiff's expert Jeffrey Augenstein 110 and alternative cross-motion for evidentiary hearing filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 169 OPPOSITION to MOTION IN LIMINE #2 of 10 to Preclude the testimony of plaintiff's expert Jeffrey Augenstein 110 and alternatively Cross-Motion for evidentiarty hearing filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 168 OPPOSITION to MOTION IN LIMINE #5 of 10 to Exclude admission of plaintiff's animation and related expert witness testimony 123 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 167 OPPOSITION to MOTION IN LIMINE #9 of 10 to Exclude testimony of plaintiff's expert Patrick Mason 136 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 166 OPPOSITION to MOTION IN LIMINE #10 of 10 to Preclude evidence regarding decedent's relationship with her former husband 139 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 165 OPPOSITION to MOTION IN LIMINE #4 of 10 to Exclude admission of the cockpit voice recorder tape and related expert witness testimony 119 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 164 DECLARATION of Joseph W Carcione, Jr, Counsel re MOTION IN LIMINE #6 of 10 to Preclude lump sum and per diem arguments regarding non-economic damages 127 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 163 OPPOSITION to MOTION IN LIMINE #6 of 10 to Preclude lump sum and per diem arguments regarding non-economic damages 127 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 162 DECLARATION of Joseph W Carcione Jr, Counsel in support of opposition re MOTION IN LIMINE #1 of 10 to Exclude evidence of pre-death emotional distress, pain and suffering 107 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 161 OPPOSITION to MOTION IN LIMINE #1 of 10 to Exclude evidence of pre-death emotional distress, pain and suffering 107 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (bg, ) |
Filing 160 PROOF OF SERVICE filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. re 157 Response in Opposition to Motion,, 158 Declaration (Motion related), Declaration (Motion related), 159 Response in Opposition to Motion, 154 Response in Opposition to Motion, 155 Declaration (Motion related), 156 Response in Opposition to Motion, was served upon Joseph W Carcipone Jr by overnight delivery on 8/30/04. (bg, ) |
Filing 159 OPPOSITION to MOTION IN LIMINE #4 of 4 to Bar reference to collateral sources 147 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (bg, ) |
Filing 158 DECLARATION of Don G Rushing in support of opposition re MOTION IN LIMINE #3 of 4 to Bar reference to Defendants' "apologies" for the crash of Alaska Airlines flight 261 and the death of Joan Smith 146 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (bg, ) |
Filing 157 OPPOSITION to MOTION IN LIMINE #3 of 4 to Bar reference to Defendants' "apologies" for the crash of Alaska Airlines flight 261 and the death of Joan Smith 146 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (bg, ) |
Filing 156 OPPOSITION to MOTION IN LIMINE #2 of 4 to Bar reference to any prior bad acts of Joan SMith, Jesse Smith, Holly Smith and Richard Smith 145 filed by defendant Boeing Company, McDonnell Douglas Corporation. (bg, ) |
Filing 155 DECLARATION of Don G Rushing in support of opposition re MOTION IN LIMINE #1 of 4 to Bar reference to Joan Smith's final will and testament 144 filed by defendant Boeing Company, McDonnell Douglas Corporation. (bg, ) |
Filing 154 OPPOSITION to MOTION IN LIMINE #1 of 4 to Bar reference to Joan Smith's final will and testament 144 filed by defendant Boeing Company, McDonnell Douglas Corporation. (bg, ) |
Filing 153 ORDER by Judge Consuelo B. Marshall : denying 83 defendants Motion to Transfer Case to Northern District of California without prejudice (lc, ) |
Filing 151 NOTICE AND REQUEST of Settlement Procedure Selection (Sp3) filed; Parties request to appear before a retired judicial officer or other dispute resolution body for mediation type settlement proceedings; Settlement procedure selection request granted By Order of Consuelo B. Marshall (ir ) |
Filing 152 PROOF OF SERVICE filed by Plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. re 144 MOTION IN LIMINE #1 of 4 to Bar reference toJoan Smith's final will and testament, 145 MOTION IN LIMINE #2 of 4 to Bar reference to any prior bad acts of Joan SMith, Jesse Smith, Holly Smith and Richard Smith, 146 MOTION IN LIMINE #3 of 4 to Bar reference to Defendants' "apologies" for the crash of Alaska Airlines flight 261 and the death of Joan Smith, 147 MOTION IN LIMINE #4 of 4 to Bar reference to collateral sources, was served on 8/16/04 served by US mail and/or Federal Express. (shb, ) |
Filing 150 MINUTES: In Limine Motions; On Courts own motion, the following motions are submitted without oral argument as of 9/27/04: Plaintiffs In Limine Motions (1)to Bar reference to Joan Smiths Final Will and Testament 144 ; (2) to Bar reference to any prior bad acts of Joan SMith, Jesse Smith, Holly Smith and Richard Smith 145 ; (3) to Bar reference to Defendants' "apologies" for the crash of Alaska Airlines flight 261 and the death of Joan Smith 146 ; (4) to Bar reference to collateral sources 147 by Judge Consuelo B. Marshall Court Reporter: n/a (ir ) |
Filing 149 MINUTES OF In Chambers Conference held before Judge Consuelo B. Marshall :, Order by Judge Consuelo B. Marshall Submitting without oral argument MOTION IN LIMINE #9 of 10 to Exclude testimony of plaintiff's expert Patrick Mason 136 , MOTION IN LIMINE #2 of 10 to Preclude the testimony of plaintiff's expert Jeffrey Augenstein 110 , MOTION IN LIMINE #5 of 10 to Exclude admission of plaintiff's animation and related expert witness testimony 123 , MOTION IN LIMINE #10 of 10 to Preclude evidence regarding decedent's relationship with her former husband 139 , MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy 114 , MOTION IN LIMINE #6 of 10 to Preclude lump sum and per diem arguments regarding non-economic damages 127 , MOTION IN LIMINE #7 of 10 to Exclude evidence of or reference to litigation conduct 131 , MOTION IN LIMINE #1 of 10 to Exclude evidence of pre-death emotional distress, pain and suffering 107 , MOTION IN LIMINE #4 of 10 to Exclude admission of the cockpit voice recorder tape and related expert witness testimony 119 , MOTION IN LIMINE #8 of 10 to Preclude trial participation by previously dismissed plaintiffs and to limit trialparticipation by multiple plaintiff's counsel 133 Court Reporter: n/a. (shb, ) |
Filing 148 PROOF OF SERVICE filed by Plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. re 144 MOTION IN LIMINE #1 of 4 to Bar reference toJoan Smith's final will and testament, 145 MOTION IN LIMINE #2 of 4 to Bar reference to any prior bad acts of Joan SMith, Jesse Smith, Holly Smith and Richard Smith, 146 MOTION IN LIMINE #3 of 4 to Bar reference to Defendants' "apologies" for the crash of Alaska Airlines flight 261 and the death of Joan Smith, 147 MOTION IN LIMINE #4 of 4 to Bar reference to collateral sources, was served on 8/16/04 by Federal Express delivery to Mark A Dombroff, Esq and Robert F Scoular, Esq and by US mail upon Laurence E Drivon, Esq. (shb, ) |
Filing 147 NOTICE OF MOTION AND MOTION IN LIMINE #4 of 4 to Bar reference to collateral sources filed by Plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith.Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall.(shb, ) |
Filing 146 NOTICE OF MOTION AND MOTION IN LIMINE #3 of 4 to Bar reference to Defendants' "apologies" for the crash of Alaska Airlines flight 261 and the death of Joan Smith filed by Plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith.Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall.(shb, ) |
Filing 145 NOTICE OF MOTION AND MOTION IN LIMINE #2 of 4 to Bar reference to any prior bad acts of Joan SMith, Jesse Smith, Holly Smith and Richard Smith filed by Plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith.Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall.(shb, ) |
Filing 144 NOTICE OF MOTION AND MOTION IN LIMINE #1 of 4 to Bar reference toJoan Smith's final will and testament filed by Plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith.Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall.(shb, ) |
Filing 143 PROOF OF SERVICE filed by Defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. re 136 MOTION IN LIMINE #9 of 10 to Exclude testimony of plaintiff's expert Patrick Mason, 108 Memorandum in Support of Motion, 109 Declaration (Motion related), 110 MOTION IN LIMINE #2 of 10 to Preclude the testimony of plaintiff's expert Jeffrey Augenstein, 122 Declaration (Motion related), Declaration (Motion related), 111 Memorandum in Support of Motion, 123 MOTION IN LIMINE #5 of 10 to Exclude admission of plaintiff's animation and related expert witness testimony, 124 Memorandum in Support of Motion,, 137 Memorandum in Support of Motion,, 125 Declaration (Motion related), Declaration (Motion related), 138 Declaration (Motion related), 139 MOTION IN LIMINE #10 of 10 to Preclude evidence regarding decedent's relationship with her former husband, 140 Memorandum in Support of Motion,, 112 Declaration (Motion related), 113 Declaration (Motion related), Declaration (Motion related), 114 MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy, 126 Declaration (Motion related), Declaration (Motion related), 127 MOTION IN LIMINE #6 of 10 to Preclude lump sum and per diem arguments regarding non-economic damages, 128 Memorandum in Support of Motion,, 129 Declaration (Motion related), Declaration (Motion related), 141 Declaration (Motion related), Declaration (Motion related), 115 Memorandum in Support of Motion,, 142 Report, 116 Declaration (Motion related), Declaration (Motion related), 117 Declaration (Motion related), Declaration (Motion related), 118 Declaration (Motion related), 130 Declaration (Motion related), Declaration (Motion related), 131 MOTION IN LIMINE #7 of 10 to Exclude evidence of or reference to litigation conduct, 132 Memorandum in Support of Motion,, 107 MOTION IN LIMINE #1 of 10 to Exclude evidence of pre-death emotional distress, pain and suffering, 119 MOTION IN LIMINE #4 of 10 to Exclude admission of the cockpit voice recorder tape and related expert witness testimony, 120 Memorandum in Support of Motion,, 121 Declaration (Motion related), Declaration (Motion related), 133 MOTION IN LIMINE #8 of 10 to Preclude trial participation by previously dismissed plaintiffs and to limit trialparticipation by multiple plaintiff's counsel, 134 Memorandum in Support of Motion,, 135 Declaration (Motion related), Declaration (Motion related), was served on 8/16/04 by US mail upon Joseph W Carcione Jr. (shb, ) |
Filing 142 SUMMARY OF MDL COURT RULINGS filed by Defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (shb, ) |
Filing 141 DECLARATION of Don G Rushing insupport of MOTION IN LIMINE #10 of 10 to Preclude evidence regarding decedent's relationship with her former husband 139 filed by Defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (shb, ) |
Filing 140 MEMORANDUM of points and authorities in Support of MOTION IN LIMINE #10 of 10 to Preclude evidence regarding decedent's relationship with her former husband 139 filed by Defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (shb, ) |
Filing 139 NOTICE OF MOTION AND MOTION IN LIMINE #10 of 10 to Preclude evidence regarding decedent's relationship with her former husband filed by Defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation.Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall. Lodged proposed order.(shb, ) |
Filing 138 DECLARATION of Don G Rushing in support of Defendants' MOTION IN LIMINE #9 of 10 to Exclude testimony of plaintiff's expert Patrick Mason 136 filed by Defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (shb, ) |
Filing 137 MEMORANDUM of points and authorities in Support of Defendants' MOTION IN LIMINE #9 of 10 to Exclude testimony of plaintiff's expert Patrick Mason 136 filed by Defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (shb, ) |
Filing 136 NOTICE OF MOTION AND MOTION IN LIMINE #9 of 10 to Exclude testimony of plaintiff's expert Patrick Mason filed by Defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation.Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall. Lodged proposed order.(shb, ) |
Filing 135 DECLARATION of Don G Rushing in support of Defendants' MOTION IN LIMINE #8 of 10 to Preclude trial participation by previously dismissed plaintiffs and to limit trialparticipation by multiple plaintiff's counsel 133 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) Modified on 8/18/2004 (shb, ). |
Filing 134 MEMORANDUM of points and authorities in Support of Defendants' MOTION IN LIMINE #8 of 10 to Preclude trial participation by previously dismissed plaintiffs and to limit trialparticipation by multiple plaintiff's counsel 133 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, . (shb, ) Modified on 8/18/2004 (shb, ). |
Filing 133 NOTICE OF MOTION AND MOTION IN LIMINE #8 of 10 to Preclude trial participation by previously dismissed plaintiffs and to limit trialparticipation by multiple plaintiff's counsel filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall. Lodged proposed order.(shb, ) Modified on 8/18/2004 (shb, ). |
Filing 132 MEMORANDUM of points and authorities in Support of MOTION IN LIMINE #7 of 10 to Exclude evidence of or reference to litigation conduct 131 filed by Defendant Alaska Airlines Inc, The Boeing Company and Mc Donnell Douglas Corporation (shb, ) Modified on 8/18/2004 (shb, ). |
Filing 131 NOTICE OF MOTION AND MOTION IN LIMINE #7 of 10 to Exclude evidence of or reference to litigation conduct filed by Defendants Alaska Airlines Inc., The Boeing Company and Mc Donnell Douglas Corporation Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall. Lodged proposed order.(shb, ) Modified on 8/18/2004 (shb, ). |
Filing 130 DECLARATION of Don G Rushing in support of Defendants' MOTION IN LIMINE #6 of 10 to Preclude lump sum and per diem arguments regarding non-economic damages 127 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 129 DECLARATION of Jeffrey J Rachlinski in support of Defendants' MOTION IN LIMINE #6 of 10 to Preclude lump sum and per diem arguments regarding non-economic damages 127 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 128 MEMORANDUM of points and authorities in Support of Defendants' MOTION IN LIMINE #6 of 10 to Preclude lump sum and per diem arguments regarding non-economic damages 127 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc., (shb, ) |
Filing 127 NOTICE OF MOTION AND MOTION IN LIMINE #6 of 10 to Preclude lump sum and per diem arguments regarding non-economic damages filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall. Lodged proposed order.(shb, ) |
Filing 126 DECLARATION of Don G Rushing in support of Defendants' MOTION IN LIMINE #5 of 10 to Exclude admission of plaintiff's animation and related expert witness testimony 123 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 125 DECLARATION of Robert D Banks, B Eng, M.D. in support of Defendants' MOTION IN LIMINE #5 of 10 to Exclude admission of plaintiff's animation and related expert witness testimony 123 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 124 MEMORANDUM of points and authorities in Support of MOTION IN LIMINE #5 of 10 to Exclude admission of plaintiff's animation and related expert witness testimony 123 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 123 NOTICE OF MOTION AND MOTION IN LIMINE #5 of 10 to Exclude admission of plaintiff's animation and related expert witness testimony filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall. Lodged proposed order.(shb, ) |
Filing 122 DECLARATION of Durand R Begault in support of Defendants' MOTION IN LIMINE #4 of 10 to Exclude admission of the cockpit voice recorder tape and related expert witness testimony 119 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 121 DECLARATION of Don G Rushing in support of Defendants' MOTION IN LIMINE #4 of 10 to Exclude admission of the cockpit voice recorder tape and related expert witness testimony 119 filed by Defendants Boeing Company, McDonnell Douglas Corporation,Alaska Airlines Inc, (shb, ) |
Filing 120 MEMORANDUM of points and authorities in Support of Defendants' MOTION IN LIMINE #4 of 10 to Exclude admission of the cockpit voice recorder tape and related expert witness testimony 119 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 119 NOTICE OF MOTION AND MOTION IN LIMINE #4 of 10 to Exclude admission of the cockpit voice recorder tape and related expert witness testimony filed by Defendants Boeing Company, McDonnell Douglas Corporation,Alaska Airlines Inc. Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall.(shb, ) |
Filing 118 DECLARATION of Don G Rushing in support of MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy 114 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 117 DECLARATION of David R Jones, M.D., MPH in support of Defendants' MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy 114 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 116 DECLARATION of Robert D Banks, B Eng, M.D. in support of Defendants' MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy 114 filed by Defendant Boeing Company, McDonnell Douglas Corporation,Alaska Airlines Inc, (shb, ) |
Filing 115 MEMORANDUM of points and authorities in Support of Defendants' MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy 114 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc,(shb, ) |
Filing 114 NOTICE OF MOTION AND MOTION IN LIMINE #3 of 10 to Preclude the testimony of plaintiff's expert Richard Levy filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, .Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall. Lodged proposed order.(shb, ) |
Filing 113 DECLARATION of Robert D Banks, B Eng, M.D. in support of Defendants' MOTION IN LIMINE #2 of 10 to Preclude the testimony of plaintiff's expert Jeffrey Augenstein 110 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc,(shb, ) Modified |
Filing 112 DECLARATION of Don G Rushing in support of MOTION IN LIMINE #2 of 10 to Preclude the testimony of plaintiff's expert Jeffrey Augenstein 110 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 111 MEMORANDUM of points and authorities in Support of MOTION IN LIMINE #2 of 10 to Preclude the testimony of plaintiff's expert Jeffrey Augenstein 110 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc,(shb, ) |
Filing 110 NOTICE OF MOTION AND MOTION IN LIMINE #2 of 10 to Preclude the testimony of plaintiff's expert Jeffrey Augenstein filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines,Inc. Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall. Lodged proposed order.(shb, ) |
Filing 109 DECLARATION of Don G Rushing in support of MOTION IN LIMINE #1 of 10 to Exclude evidence of pre-death emotional distress, pain and suffering 107 filed by Defendant Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc, (shb, ) |
Filing 108 MEMORANDUM of points and authorities in Support of MOTION IN LIMINE #1 of 10 to Exclude evidence of pre-death emotional distress, pain and suffering 107 filed by Defendants Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc,(shb, ) |
Filing 107 NOTICE OF MOTION AND MOTION IN LIMINE #1 of 10 to Exclude evidence of pre-death emotional distress, pain and suffering filed by Defendant Boeing Company, McDonnell Douglas Corporation, Alaska Airlines Inc,. Motion set for hearing on 9/27/2004 at 10:00 AM before Honorable Consuelo B. Marshall. Lodged Proposed Order.(shb, ) |
Filing 106 STIPULATION AND ORDER by Judge Consuelo B. Marshall : Motions in Limine will be tentatively be heard 9/27/04 10:00 and to be filed by 8/16/2004; oppositions be served and filed on or before 8/30/04; reply papers be be served and filed on or before 9/13/04; service and filing be executed by overnight delivery.(lc, ) |
Filing 105 RECEIPT OF REPORTERS TRANSCRIPT of proceedings for the following dates: 6/7/04 Court Reporter: Leandra Amber. (ghap, ) |
TRANSCRIPT filed for proceedings held on 6/7/04. Court Reporter: Leandra Amber. (ghap, ) |
Filing 104 MINUTES before Judge Consuelo B. Marshall: Defendants MOTION to Transfer Action to the Northern District of California 83 (filed 4/4/2004). Argumengs had, Motion to Transfer Action is SUBMITTED without oral further oral argument. In Limine Motions shall be set for oral argument on 8/23/2004 at 10:00 AM. Pretrial Conference is set on 11/8/2004 03:00 PM. Court Reporter: Leandra Amber. (jp, ) |
Filing 103 NOTICE of association of counsel and their Change of Address by attorney William V O'Connor, Don G Rushing for Defendant Alaska Airlines Inc, changing address to Morrison and Foerster; 3811 Valley Centre Drive, Suite 500; San Diego, Ca 92130-2332; 858-720-5100; FAX: 858-720-5125. Filed by plaintiff Alaska Airlines (lc, ) |
Filing 102 REPLY to response to MOTION to Transfer Case to the Northern District of California 83 filed by defendant Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
FAX number for Attorney William V O'Connor, Don G Rushing is 858-720-5125. (lc, ) |
Filing 98 RECEIPT OF REPORTERS TRANSCRIPT of proceedings for the following dates: 4/13/04 Court Reporter: Leandra Amber (weap, ) |
TRANSCRIPT filed for proceedings held on 4/13/04. Court Reporter: Leandra Amber. (weap, ) |
Filing 97 MINUTES: Court on own motion continues hearing on defendants 83 MOTION to Transfer Case to the Northern District of California to 6/7/2004 at 10:00 AM by Judge Consuelo B. Marshall. Court Reporter: none. (lc, ) |
Filing 101 PROOF OF SERVICE filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. re 99 Opposition to Motion, 100 Declaration in OPPOSITION to MOTION to Transfer Case to the Northern District of California 83 was served on 5/3/04. (lc, ) |
Filing 100 DECLARATION of Gary W Dolinski in support of MOTION to Transfer Case to the Northern District of California 83 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (lc, ) |
Filing 99 OPPOSITION to MOTION to Transfer Case to the Northern District of California 83 filed by plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (lc, ) |
Filing 85 DECLARATION of DANE B JAQUES in support of MOTION to Transfer Case to the Northern District of California 83 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (jag, ) |
Filing 84 MEMORANDUM in Support of MOTION to Transfer Case to the Northern District of California 83 filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (jag, ) |
Filing 83 NOTICE OF MOTION AND MOTION to Transfer Case to the Northern District of California filed by defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. Motion set for hearing on 5/17/2004 at 10:00 AM before Honorable Consuelo B. Marshall. Lodged proposed order. (jag, ) |
Filing 82 MINUTES OF Status Conference held; Court grants defense counsel leave to file motions to transfer by Judge Consuelo B. Marshall : Court Reporter: Leandra Amber. (lc, ) |
Filing 79 MINUTES: Court on own motion continues Status Conference to 4/13/2004 11:00 AM before Honorable Consuelo B. Marshall. Court Reporter: none. (lc, ) |
Filing 81 EX PARTE STATUS REPORT filed by Plaintiffs Holly A Smith, Jesse J Smith, Richard J Smith. (lc, ) |
Filing 80 DEFENDANTS JOINT STATUS REPORT filed by Defendants Alaska Airlines Inc, Boeing Company, McDonnell Douglas Corporation. (lc, ) |
Filing 78 NOTICE of Association of Counsel associating attorney William V O'Connor, Don G Rushing of gary Cary Ware and Freidenbach on behalf of Defendant Alaska Airlines Inc. Filed by defendant Alaska Airlines Inc (lc, ) |
FAX number for Attorney William V O'Connor, Don G Rushing is 858-677-1477. (lc, ) |
Filing 76 NOTICE OF CLERICAL ERROR Re: 3/16/04 minutes setting status conference for 4/12/04 11:00, docketed correctly on 3/17/04, however was erroneously not issued document item control number (lc, ) |
ORIGINAL file, certified copy of transfer order and docket sheet received back from USDC, Northern District of California (San Francisco); Case Number 3:00-cv-3622. Case remanded back to Judge Consuelo B. Marshall. (gk, ) |
STIPULATION AND ORDER by Judge Charles A. Legge dismissing Federal defendants USA, James Hall and National Transport Safety Board with prejduice (cc: all counsel) [3:00-cv-03622](dw, ) |
Filing 77 NOTICE OF TRANSFER BACK/REMAND AND REOPENING OF CASE: The above entitled action has been transferred back or remanded to this court from the Northern District of California (San Francisco). The Case has been re-opened under its previous case number and assigned to Judge Consuelo B. Marshall and Magistrate Judge Stephen J. Hillman. (dw, ) |
Filing 75 CONDITIONAL REMAND ORDER from the Judicial Panel on Multidistrict Litigation, MDL 1343, in re Air Crash Near Point Magu, California on 1/31/00. IT IS THEREFORE ORDERED that the above-captioned action be remanded to the US District Court for the Central District of California. Case reopened.(dw, ) |
MINUTES : Court on own motion sets Status Conference for 4/12/2004 11:00 AM; Status Report due by 4/5/2004 by Judge Consuelo B. Marshall. Court Reporter: none. (lc, ) |
Filing 96 WAIVER OF SERVICE by defendant Derlan Industries served on 6/21/01 in response to the Request for Waiver sent on 5/30/01. (dw, ) |
Filing 95 WAIVER OF SERVICE by defendant Equilon Enterprises served on 6/7/01 in response to the Request for Waiver sent on 5/30/01. (dw, ) |
Filing 94 WAIVER OF SERVICE by defendant MPDC, Inc. served on 7/27/01 in response to the Request for Waiver sent on 5/30/01 (dw, ) |
Filing 93 WAIVER OF SERVICE by defendant Nortek, Inc served on 7/27/01 in response to the Request for Waiver sent on 5/30/01 (dw, ) |
Filing 92 WAIVER OF SERVICE by defendant Peacock Aerospace served on 7/27/01 in response to the Request for Waiver sent on 5/30/01 (dw, ) |
Filing 91 WAIVER OF SERVICE by defendant Shell Oil Company served on 6/4/01 in response to the Request for Waiver sent on 5/30/01. (dw, ) |
Filing 90 WAIVER OF SERVICE by defendant Trig Holding Inc served on 7/30/01 in response to the Request for Waiver sent on 6/25/01. (dw, ) |
Filing 89 CONSOLIDATED ANSWER by Defendant Equilon Enterprises LLC to plaintiffs' complaint 86 (dw, ) |
Filing 74 CERTIFIED COPY of Appellate Court Order: This appeal No 00-56410 is dism for failure to comply w/rules req processing the appeal to hrg (ENT 2/12/01) (SEND) (ir) |
Filing 73 MANDATE from Circuit Court of Appeals; Filing & Spreading Ord of the 9th CCA In Chambers (No hrg nec) Cnsl notified (by mail) Crt Ord that the Mandate of the 9th CCA dismissing appeal is fld & spread upon the min of this USDC (SEND) (ir) |
Filing 88 ANSWER by defendant McDonnell Douglas Corporation to plaintiffs' complaint 86 Corporation.(dw, ) |
Filing 87 ANSWER by defendant The Boeing Company to plaintiffs' complaint 86 (dw, ) |
Filing 86 FIRST AMENDED COMPLAINT by Plaintiffs; jury demand; adding Derlan Industries, Nortek Inc., MPDC Inc. Peacok Aerospace, Struthers Industries, Equilon Enterprises, Shell Oil Company; Jury Demand (dw, ) |
Filing 72 NOTICE OF DISCREPANCY AND ORDER by Judge Consuelo B. Marshall; IT IS HEREBY ORD the Letter is NOT to be fld, but6 instead REJECTED, & is ORD rtn to cnsl (No copy provided for judge, & No POS attached to document(s) (jp) |
Filing 71 RETURN RECEIPT Re Transfer to Northern Dist of CA of orig case file w/certified copies of ord & docket. Case number assigned: C00-3622-CAL (yl) |
TRANSMITTAL of documents to USDC N/D CA original case file, cert docket & trfr ord (dmjr) |
Filing 70 ORDER by Judicial Panel on Multidistrict Litigation MDL 1343, assigned to Judge Charles A Legge Case transferred to Dist of: USDC N/D CA MD JS-6 (ENT 9/26/00) (dmjr) |
Filing 69 NOTIFICATION by Circuit Court of Appellate Docket Number appeal [59-1] 00-56410 (dlu) |
Filing 67 MINUTES before Judge Consuelo B. Marshall: Motion of dfts to dismiss 1st A/C [52-1], and dismiss actn against against federal dfts [52-2] is CONTINUED to 10/16/00 @ 10:00 CR: N/A (jp) |
Filing 68 OPPOSITION by plaintiffs Jesse J Smith, Holly A Smith, Richard J Smith to expedited motion clarify order for case management conference (jp) |
Filing 66 ERRATA by defendants NTSB, James Hall, USA to reply [65-1] (jp) |
Filing 65 REPLY by defendants NTSB, James Hall, USA to opposition to motion to dismiss 1st A/C [52-1], and to dismiss actn against against federal dfts [52-2] (jp) |
Filing 64 MEMORANDUM IN OPPOSITION by plaintiffs to motion to dismiss 1st A/C [52-1], and to dismiss actn against against federal dfts [52-2] (jp) |
Filing 63 CERTIFICATION AS TO INTERESTED PARTIES filed by defendant Alaska Airlines Inc (seal) |
Filing 62 ANSWER filed by defendant Alaska Airlines Inc to 1st amended complaint [6-1]; jury demand (seal) |
Filing 61 AMENDED PROOF OF SERVICE by Becky Tucker on 8/21/00 of Notc of Appeal (dlu) |
Filing 59 NOTICE OF APPEAL by plaintiff Jesse J Smith, plaintiff Holly A Smith, plaintiff Richard J Smith to 9th C/A from Dist. Court ord fld 7/20/00 [47-1] (cc: Joseph W. Carcione; Wyatt, Wyatt & Cowley; Jonathan Massey, Brian J. Panish; Peter Rubin; Brian S. Koukoutchos; Bruce Campbell, Perkins Coi; Berger, Kahn, Shafton, Moss Figler, Simon & Gladstone; Dombroff & Gilmore; Rose, Walker; Bailey Marzano; Kevin OP. Durkin, Clifford Law Offices; Speiser & Krause; Cotchett, Pitre & Simon; Marcus S. Tope, Joseph D. Elford; Walkup, Melodia, Kelly, & Echeverria; Goron-Creed Kelley,Holl & Sugarman; Nurenberg, Plevin, Heller & McCarthy; Spencer T. Malysiak; Callaway & Wolf; AUSA; Baumeister & Samuels) Fee: Billed. (fvap) |
Filing 60 NOTICE OF DISCREPANCY AND ORDER by Judge Consuelo B. Marshall; IT IS HEREBY ORD the Answer is NOT to be fld, but instead REJECTED, & is ORD rtn to cnsl (jp) |
Filing 57 CERTIFICATION AS TO INTERESTED PARTIES filed by defendant Alaska Airlines Inc (jp) |
Filing 58 NOTICE by defendant Trig Holding Inc of related case(s) CV 00-2576 CBM, CV 00-1792 CBM, CV 00-3046 CBM (rn) |
Filing 56 WAIVER OF SERVICE of SUMMONS by defendant Boeing Company sent by plf on 7/24/00 (bg) |
Filing 55 WAIVER OF SERVICE of SUMMONS by defendant McDonnell Douglas sent by plf on 7/24/00 (bg) |
Filing 54 ANSWER filed by defendant Trig Holding Inc to first amended complaint [6-1]; jury demand (bg) |
Filing 53 NOTICE OF INTERESTED PARTIES filed by defendant Trig Holding Inc (bg) |
Filing 52 NOTICE OF MOTION AND MOTION by defendants NTSB, James - Hall & USA to dismiss 1st A/C , to dismiss actn against against federal dfts ; motion hearing set for 10:00 9/11/00 (yl) |
Filing 51 OPPOSITION by defendant Alaska Airlines Inc to exparte motion for temporary restraining order [36-1] (jp) |
Filing 50 RESPONSE by defendants McDonnell Douglas, Boeing Company to plfs supplemental reply [45-1] (jp) |
Filing 49 PROOF OF SERVICE by plaintiffs Jesse J Smith, Holly A Smith, Richard J Smith on 7/20/00 of Ex Parte appl for ord permitting plfs suppl reply memo in suppt of ex parte appl for temporary restraining ord and; (see doc for fur details) (ks) |
Filing 48 EX PARTE APPLICATION filed by plaintiffs Jesse J Smith, Holly A Smith, Richard J Smith for order permitting plfs supplemental reply memo in suppt of exparte appl for TRO ; Lodged order & Suppl Reply (jp) |
Filing 47 ORDER by Judge Consuelo B. Marshall denying exparte application for temporary restraining order [36-1] (send) (jp) |
Filing 44 ORDER by Judge Consuelo B. Marshall granting exparte motion for order permitting filing of plfs reply memo in suppt of exparte appl for TRO [41-1] (jp) |
Filing 43 ORDER by Judge Consuelo B. Marshall granting exparte motion for order permitting Memo of Law in suppt of exparte appl for TRO in excess of 25 pages [35-1] (jp) |
Filing 46 MEMORANDUM OF LAW by plaintiffs in suppt of exparte appl for temporary restraining order [36-1] (jp) |
Filing 45 REPLY MEMORANDUM by plaintiffs in suppt of exparte appl for temporary restraining order [36-1] (jp) |
Filing 42 PROOF OF SERVICE by plaintiffs on 7/17/00 of Exparte appl for ord permitting filing of plfs reply memo in suppt of exparte appl for TRO; Plfs Reply memo in suppt (jp) |
Filing 41 EX PARTE APPLICATION filed by plaintiffs for order permitting filing of plfs reply memo in suppt of exparte appl for TRO ; Lodged order & reply memo (jp) Modified on 07/18/2000 |
Filing 40 MEMORANDUM IN OPPOSITION by defendants McDonnell Douglas, Boeing Company to exparte motion for temporary restraining order [36-1] (jp) |
Filing 39 OPPOSITION by defendant NTSB, defendant USA, defendant James Hall to exparte motion for temporary restraining order [36-1] (bg) |
Filing 38 PROOF OF SERVICE by plaintiffs Jesse J Smith, Holly A Smith, Richard J Smith on 7/13/00 of Ntc of exparte appl & exparte appl for TRO; Memo of Law; Ntc of exparte appl & exparte appl for order permitting memo of law, etc. (jp) |
Filing 37 WRITTEN COMMUNICATION CONCERING by plaintiffs Jesse J Smith, Holly A Smith, Richard J Smith exparte application for temporary restraining order [36-1] (jp) |
Filing 36 EX PARTE APPLICATION filed by plaintiffs Jesse J Smith, Holly A Smith, Richard J Smith for temporary restraining order ; Lodged TRO (jp) |
Filing 35 NOTICE OF EX PARTE APPLICATION filed by plaintiffs Jesse J Smith, Holly A Smith, Richard J Smith for order permitting Memo of Law in suppt of exparte appl for TRO in excess of 25 pages ; Lodged order (jp) |
Filing 34 REQUEST by plaintiffs Jesse J Smith, Holly A Smith, Richard J Smith for oral hearing & for briefing schedule on plfs exparte application for TRO; Lodged order (jp) |
Filing 33 APPLICATION AND ORDER of Non-Resident Attorney to Appear in a Specific Case filed for defendant Trig Holding Inc by Jeffrey W Hightower Jr. Designating Carolyn J Shields as local counsel. Approved by Judge Consuelo B. Marshall. (Fee pd) (jp) |
Filing 32 APPLICATION AND ORDER of Non-Resident Attorney to Appear in a Specific Case filed for plaintiffs Jesse J Smith, Holly A Smith, Richard J Smith by Peter J Rubin. Designating Brian J. Panish as local counsel. Approved by Judge Consuelo B. Marshall. (Fee pd) (jp) |
Filing 30 WAIVER OF SERVICE of SUMMONS signed by Rose Walker, Counsel for defendant Trig Holding Inc on 6/27/00 (jp) |
Filing 29 WAIVER OF SERVICE of SUMMONS signed by Michael W. Kerns, Attorney for defendant Alaska Airlines Inc on 6/30/00 (jp) |
Filing 25 MINUTES before Judge Consuelo B. Marshall: The Crt hereby STRIKES the motion of the plfs for temporary restraining order [17-1], & for preliminary injunction [17-2] CR: N/A (send) (jp) |
Filing 31 OPPOSITION by defendants Alaska Airlines Inc to motion for temporary restraining order [17-1], and for preliminary injunction [17-2] (jp) |
Filing 28 OPPOSITION by defendants NTSB, James Hall, USA to motion for temporary restraining order [17-1], and for preliminary injunction [17-2] (jp) |
Filing 27 MEMORANDUM IN RESPONSE by defendants McDonnell Douglas, Boeing Company to motion for temporary restraining order [17-1], & for preliminary injunction [17-2] (jp) |
Filing 26 PROOF OF SERVICE by plaintiffs on 7/6/00 of Ntc of mot & mot for TRO & P/I; Memo, etc. (jp) |
Filing 24 NOTICE OF APPEARANCE FOR LIMITED PURPOSE for defendant McDonnell Douglas, defendant Boeing Company by attorney Ronald A McIntire, Keith Gerrard, Bruce D Campbell (bg) |
Filing 23 MINUTES before Judge consuelo B. Marshall: The Crt hereby modifies the Order fld 6/21/00: Plaintiffs exparte appl for an order permitting Memo of Law in suppt of mot for TRO [17-1], & preliminary injunction in excess of 25 pages (14-1) [17-2] is GRANTED CR: N/A (send) (jp) |
Filing 22 NOTICE OF APPEARANCE OF COUNSEL FOR defendants NTSB, James Hall, USA by James R. Sullivan, Leon W. Weidman (jp) |
Filing 21 NOTICE OF INTERESTED PARTIES filed by defendants Natl Transportation Safety Board, James Hall, USA (jp) |
Filing 20 PROOF OF SERVICE executed upon defendants Department of Justice USA, Janet Reno US Attorney General Department of Justice, Alejandro Mayorkas US Attorney for Central District, National Transportation Safety Board (NTSB) Ron Battocchi, General Counsel-1 James Hall Chairman National Transportation Safety Board (NTSB) Ron Battocchi General Counsel-1, Alaska Airlines Inc CT Corporation, McDonnell Douglas Corporation, Boeing Company CT Corporation, Trig Holding Inc Mr Mark J Silk on 6/13/00 by Certified Mail by Delivering Sms & 1st A/C (See Doc for Fur Details) (ad) |
Filing 19 PROOF OF SERVICE executed upon Civil Process Clerk, Us Attorney for Central Districkt on 6/15/00 by Certified Mail by Delivering Sms & 1st A/C (See Doc for Fur Details) (ad) Modified on 06/27/2000 |
Filing 18 MEMORANDUM IN SUPPORT by plaintiff Jesse J Smith, plaintiff Holly A Smith, plaintiff Richard J Smith of motion for temporary restraining order [17-1], motion for preliminary injunction [17-2] (bg) |
Filing 17 NOTICE OF MOTION AND MOTION by plaintiff Jesse J Smith, plaintiff Holly A Smith, plaintiff Richard J Smith for temporary restraining order , for preliminary injunction ; motion hearing set for 10:00 7/24/00 Lodged prop ord (bg) |
Filing 16 ORDER by Judge Consuelo B. Marshall that the plf exparte appl for order permitting memo of law in suppt of mot for TRO & Preliminary injunction in excess of 25 pages [14-1] is GRANTED; The Clk of the Crt is directed to file the pfl Memo dated 6/13/00, subm in supp of the plf mot for TRO & P/I (scan) (jp) |
Filing 15 PROOF OF SERVICE by plaintiffs on 6/20/00 of Ntc of mot & mot for TRO & preliminary injunction; Memo of P/A's; propsd ord (jp) |
Filing 14 APPLICATION filed by plaintiffs for order permitting memo of law in suppt of mot for TRO & Preliminary injunction in excess of 25 pages ; Lodged Ord, Memo, & Motion (jp) |
Filing 13 PROOF OF SERVICE by plaintiffs on 6/20/00 of Appl for ord permitting memo of law in suppt of mot for TRO & Perliminary inj in excess of 25 pages; & Ord (jp) |
Filing 12 PROOF OF SERVICE by plaintiffs on 6/16/00 of Ntc of errata filing re table of contents & table of auth; Table of contents & Table of Auth to plf's Memo in suppt of mot for TRO & Preliminary Injunction (jp) |
Filing 11 NOTICE OF ERRATA by plaintiffs correcting filing re table of contents & table of auth for plfs Memo in suppt of mot for TRO & Preliminary Injunction [10-1] (jp) |
Filing 10 TABLE OF CONTENTS & TABLE OF AUTH to plfs Memo in suppt of motion for temporary restraining order & preliminary injunction [8-1] (jp) |
Filing 9 PROOF OF SERVICE by plaintiffs on 6/16/00 of Appl for ord permitting Memo of in suppt; Propsd ORd Permitting Memo of Law (jp) |
Filing 8 APPLICATION by plaintiffs for order permitting memo of Law in supp of mot for TRO & Preliminary injuction in excess of 25 pages (jp) |
Filing 7 NOTICE OF DISCREPANCY AND ORDER by Judge Consuelo B. Marshall; IT IS HEREBY ORD that the Plfs Ntc of mot & mot for TRO is NOT t be fld, but instead REJECTED, & is ORD rtn to cnsl (jp) |
Filing 5 NOTICE OF ASSOCIATION of Counsel for plaintiffs Jesse J Smith, Holly A Smith, Richard J Smith by attorney Brian J Panish (jp) |
Filing 4 ORDER RE TRANSFER PURSUANT TO GENERAL ORDER 224 (Related Case) filed. [ Related Case no.: CV 00-1792 CBM (SHx)] Case transferred from Judge Lourdes G. Baird to Judge Consuelo B. Marshall for all further proceedings. The case number will now reflect the initials of the transferee Judge [ CV 00-5407 CBM (SHx)] (cc: all counsel) (rn) |
Filing 6 FIRST AMENDED COMPLAINT [1-1] by plaintiff Jesse J Smith, plaintiff Holly A Smith, plaintiff Richard J Smith; adding dfts James Hall & USA . Summons not issued (yl) |
Filing 3 NOTICE by plaintiff Jesse J. Smith of related case(s) CV 00-1792 CBM (SHx) & Other related group. (kc) Modified on 06/01/2000 |
Filing 2 CERTIFICATION OF INTERESTED PARTIES filed by plaintiff, defendant (pj) |
Filing 1 COMPLAINT filed Summons(es) Issued referred to Discovery Stephen J. Hillman; Jury Demand (pc) |
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