MMAS Research, LLC et al v. Kantar Health, LLC et al
Dr. Donald Morisky and MMAS Research, LLC |
Kantar Health, LLC, EMD Sereno, Inc., Merck KGaA Merck KGaA and Does 1-50, inclusive |
2:2018cv08575 |
October 4, 2018 |
US District Court for the Central District of California |
John A Kronstadt |
Alexander F MacKinnon |
Trademark |
28 U.S.C. § 1441 |
Plaintiff |
Docket Report
This docket was last retrieved on March 9, 2019. A more recent docket listing may be available from PACER.
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Filing 31 REQUEST FOR JUDICIAL NOTICE re NOTICE OF MOTION AND MOTION to Dismiss Case NOTICE OF MOTION AND MOTION TO DISMISS THE FIRST AMENDED COMPLAINT BY DEFENDANT KANTAR HEALTH, LLC; MEMORANDUM IN SUPPORT THEREOF #30 DEFENDANT KANTAR HEALTH, LLCS REQUEST FOR JUDICIAL NOTICE IN SUPPORT OF MOTION TO DISMISS; [FRCP 12(b)(6)] filed by Defendant Kantar Health, LLC. (Attachments: #1 Exhibit 1, #2 Exhibit 2)(Rea, September) |
Filing 30 NOTICE OF MOTION AND MOTION to Dismiss Case NOTICE OF MOTION AND MOTION TO DISMISS THE FIRST AMENDED COMPLAINT BY DEFENDANT KANTAR HEALTH, LLC; MEMORANDUM IN SUPPORT THEREOF filed by defendant Kantar Health, LLC. Motion set for hearing on 3/11/2019 at 08:30 AM before Judge John A. Kronstadt. (Attachments: #1 Declaration Michael Kniesche, #2 Exhibit 1, #3 Exhibit 2, #4 Exhibit 3) (Rea, September) |
Filing 29 NOTICE OF MOTION AND MOTION to Dismiss Case DEFENDANTS' NOTICE OF MOTION AND MOTION TO DISMISS FOR LACK OF PERSONAL JURISDICTION, IMPROPER VENUE, AND FAILURE TO STATE A CLAIM UPON WHICH RELIEF CAN BE GRANTED; DECLARATION OF _ MICHAEL MACDOUGALL IN SUPPORT THEREOF; FRCP 12(b), NOTICE OF MOTION AND MOTION to Dismiss for Lack of Jurisdiction filed by defendant EMD Sereno, Inc., Merck KGaA. Motion set for hearing on 3/11/2019 at 08:30 AM before Judge John A. Kronstadt. (Attachments: #1 Declaration MICHAEL MACDOUGALL) (Attorney September Rea added to party Merck KGaA(pty:dft)) (Rea, September) |
Filing 28 APPLICATION of Non-Resident Attorney Jacklyn M. Siegel to Appear Pro Hac Vice on behalf of Defendant Kantar Health, LLC (Pro Hac Vice Fee - $400 Fee Paid, Receipt No. 0973-22828600) filed by defendant Kantar Health, LLC. (Attachments: #1 Proposed Order) (Rea, September) |
Filing 27 APPLICATION of Non-Resident Attorney Marc J. Rachman to Appear Pro Hac Vice on behalf of Defendant Kantar Health, LLC (Pro Hac Vice Fee - $400 Fee Paid, Receipt No. 0973-22828443) filed by defendant Kantar Health, LLC. (Attachments: #1 Proposed Order) (Rea, September) |
Filing 26 ORDER RE REQUEST TO ADJOURN RULE 16(B)/26(F) SCHEDULING CONFERENCE AND JOINT REPORT #24 by Judge John A. Kronstadt. The Stipulation and requests contained therein are GRANTED IN PART. The Scheduling Conference, currently scheduled for December 3, 2018 at 1:30 p.m., is CONTINUED to December 17, 2018 at 1:30 p.m. The Joint Report, currently due on November 21, 2018, shall be filed no later than December 10, 2018. (bp) |
Filing 25 NOTICE OF CLERICAL ERROR: The Order was filed inadvertently in the wrong case. Accordingly, the Order is stricken #23. Re: Order/Referral to ADR (No 2) (Mediation Panel) (ADR-12), #23 . (twdb) |
Filing 24 Joint STIPULATION to Continue SCHEDULING CONFERENCE from 12/3/2018 to 2/1/2019 Re: Order, Set/Reset Deadlines/Hearings #8 filed by defendants EMD Sereno, Inc., Kantar Health, LLC. (Attachments: #1 Proposed Order)(Attorney Bryan J Freedman added to party EMD Sereno, Inc.(pty:dft))(Freedman, Bryan) |
Filing 23 [STRICKEN PER #25 ] - ORDER/REFERRAL to ADR Procedure No 2 by Judge John A. Kronstadt. Case ordered to Court Mediation Panel for mediation. ADR Proceeding to be held no later than February 4, 2019. Status Conference set for February 25, 2019 at 1:30 pm before Judge John A. Kronstadt. (ake) Modified on 11/19/2018 (twdb). |
Filing 19 ORDER RE STIPULATION TO PROVIDE TIME FOR PLAINTIFFS' TO FILE AMENDED COMPLAINT AND DEFENDANTS TIME TO RESPOND by Judge John A. Kronstadt. The Stipulation and requests contained therein are GRANTED. Plaintiffs MMAS Research, LLC and Dr. Donald Morisky shall file their Amended Complaint on or before November 9, 2018. Dkt. 14. #13 (yl) |
Filing 22 21 DAY Summons Issued re Amended Complaint/Petition, #14 as to Defendant Merck KGaA. (bp) |
Filing 21 21 DAY Summons Issued re Amended Complaint/Petition, #14 as to Defendant EMD Sereno, Inc.. (bp) |
Filing 20 21 DAY Summons Issued re Amended Complaint/Petition, #14 as to Defendant Kantar Health, LLC. (bp) |
Filing 18 NOTICE of Interested Parties filed by plaintiff MMAS Research, LLC, Donald Morisky, (Gross, Kenneth) |
Filing 17 Request for Clerk to Issue Summons on Amended Complaint/Petition, #14 filed by plaintiff MMAS Research, LLC, Donald Morisky. (Gross, Kenneth) |
Filing 16 Request for Clerk to Issue Summons on Amended Complaint/Petition, #14 filed by plaintiff MMAS Research, LLC, Donald Morisky. (Gross, Kenneth) |
Filing 15 Request for Clerk to Issue Summons on Amended Complaint/Petition, #14 filed by plaintiff MMAS Research, LLC, Donald Morisky. (Gross, Kenneth) |
Filing 14 FIRST AMENDED COMPLAINT against defendant All Defendants amending Complaint - (Discovery), JURY DEMAND, filed by plaintiff Donald Morisky, MMAS Research, LLC (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F)(Gross, Kenneth) |
Filing 13 STIPULATION for Extension of Time to Amend Complaint - (Discovery),, STIPULATION Extending Time to Answer the complaint as to Kantar Health, LLC answer now due 11/30/2018; EMD Sereno, Inc. answer now due 11/30/2018, filed by defendants Kantar Health, LLC ; EMD Sereno, Inc.. (Attachments: #1 Declaration September Rea, #2 Proposed Order)(Rea, September) |
Filing 12 ORDER GRANTING Stipulation Extending Time to Answer (30 days or less), #11 , by Judge John A. Kronstadt. Defendants Kantar Health, LLC and EMD Serono, Inc., shall have up to, and including, November 9, 2018 to respond to the Complaint. (shb) |
Filing 11 Second STIPULATION Extending Time to Answer the complaint as to Kantar Health, LLC answer now due 11/9/2018; EMD Sereno, Inc. answer now due 11/9/2018, re Complaint - (Discovery), Order Extending Answer Due Deadline, #10 filed by Defendant Kantar Health, LLC ; EMD Sereno, Inc.. (Attachments: #1 Declaration Declaration of September Rea, #2 Proposed Order)(Attorney September Rea added to party EMD Sereno, Inc.(pty:dft))(Rea, September) |
Filing 10 ORDER RE STIPULATION TO EXTEND TIME TO RESPOND TO INITIAL COMPLAINT BY NOT MORE THAN 30 DAYS (L.R. 8-3), granting Stipulation Extending Time to Answer (30 days or less), #9 , by Judge John A. Kronstadt. Defendants Kantar Health, LLC and EMD Sereno, Inc., shall have up to, and including, November 2, 2018 to respond to the Complaint. (bp) |
Filing 9 Joint STIPULATION Extending Time to Answer the complaint as to Kantar Health, LLC answer now due 11/2/2018; EMD Sereno, Inc. answer now due 11/2/2018, re Complaint - (Discovery), filed by Defendant Kantar Health, LLC. (Attachments: #1 Declaration of September Rea, #2 Proposed Order to Extend Time to Respond to Initial Complaint by Not More Than 30 Days (L.R. 8-3))(Freedman, Bryan) |
Filing 8 ORDER SETTING RULE 16(b)/26(f) SCHEDULING CONFERENCE by Judge John A. Kronstadt that the Scheduling Conference set for 12/3/2018 at 01:30 PM. Joint Rule due by 11/21/2018. (SEE ORDER FOR FURTHER INFORMATION). (jp) |
Filing 7 STANDING ORDERS FOR CIVIL CASES ASSIGNED TO JUDGE JOHN A. KRONSTADT (SEE ORDER FOR SPECIFICS). (jp) |
Filing 6 NOTICE TO PARTIES OF COURT-DIRECTED ADR PROGRAM filed. (car) |
Filing 5 NOTICE OF ASSIGNMENT to District Judge John A. Kronstadt and Magistrate Judge Alexander F. MacKinnon. (car) |
CONFORMED COPY OF COMPLAINT against Defendants Does 1-50, inclusive, EMD Sereno, Inc., Kantar Health, LLC., filed by plaintiffs Donald Morisky, MMAS Research, LLC. Filed in State Court on 8/28/18 Submitted with attachment 1 to Notice of Removal #1 (car) |
Filing 4 CORPORATE DISCLOSURE STATEMENT PURSUANT TO FED. R. CIV. P. 7.1 filed by Defendant Kantar Health, LLC (Freedman, Bryan) |
Filing 3 NOTICE of Interested Parties filed by Defendant Kantar Health, LLC, (Freedman, Bryan) |
Filing 2 CIVIL COVER SHEET filed by Defendant Kantar Health, LLC. (Freedman, Bryan) |
Filing 1 NOTICE OF REMOVAL from California, case number BC719575 Receipt No: 0973-22533269 - Fee: $400, filed by Defendant Kantar Health, LLC. (Attachments: #1 Exhibit Exhibit 1) (Attorney Bryan J Freedman added to party Kantar Health, LLC (pty:dft))(Freedman, Bryan) |
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