Kit Wong et al v. Safety-Kleen Systems, Inc. et al
Terra Le, Kit Wong and Matthew Johnathan Le |
Total Petrochemicals & Refining USA, Inc., a Delaware corporation, FCA US LLC doing business as Mopar, a Delaware corporation, Kern Oil & Refining Co., a California corporation, Wurth USA Inc., a Delaware corporation, Technical Chemical Company, a Texas corporation, Valvoline, Inc., a Kentucky corporation, Amtecol, Inc., a California corporation, Safety-Kleen Systems, Inc., a Wisconsin corporation, Calsol, Inc., a California corporation, Chevron U.S.A., Inc., a Pennsylvania corporation, JX Nippon Oil & Energy USA Inc., a Delaware corporation, Worldpac, Inc., a Delaware corporation, Master Chemical Corporation, an Ohio corporation, Petro Source Refining Corporation, a Utah corporation, PPG Industries, Inc., a Pennsylvania corporation;, Starco Enterprises, Inc. doing business as Blue Devil Products, a California corporation, BC Stocking Distributing, a California corporation, O'Reilly Automotive Stores, a Missouri corporation, Union Oil Company of California, a California corporation, Liqui Moly USA Inc., a Delaware corporation, Liqui Moly USA Inc., BC Stocking Distributing, PPG Industries, Inc., OReilly Automotive Stores, Petro Source Refining Corporation, Safety-Kleen Systems, Inc., Does 2 through 100, inclusive, Amtecol, Inc., Universal Products, Inc., Master Chemical Corporation, Wurth USA Inc., Calsol, Inc., Chevron U.S.A., Inc., Total Petrochemicals and Refining USA, Inc., Technical Chemical Company, JX Nippon Oil and Energy USA Inc., Union Oil Company of California, Kern Oil and Refining Co., Worldpac, Inc. and Valvoline, Inc. |
2:2020cv09759 |
October 23, 2020 |
US District Court for the Central District of California |
Andre Birotte |
Gail J Standish |
Personal Inj. Prod. Liability |
28 U.S.C. § 1441 |
Both |
Docket Report
This docket was last retrieved on March 8, 2021. A more recent docket listing may be available from PACER.
Document Text |
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Filing 88 CORPORATE DISCLOSURE STATEMENT filed by Defendant Universal Products, Inc. (Barba, Luis) |
Filing 87 ORDER RE: JOINT STIPULATION REGARDING THE TIMING FOR SPECIALLY APPEARING DEFENDANT WORLDPAC, INC. TO FILE AN ANSWER OR OTHER RESPONSIVE PLEADING by Judge Andre Birotte Jr.: Upon Stipulation #82 IT IS SO ORDERED that Specially Appearing Defendant WORLDPAC, INC. shall have an extension of time to file an Answer or other responsive pleading to the First Amended Complaint #61 of up until 15 days after the Court issues its Order as to Plaintiffs' anticipated Motion to Remand the Action to Los Angeles Superior Court. (gk) |
Filing 86 ANSWER to Amended Complaint/Petition #61 filed by Defendant OReilly Automotive Stores.(Hugo, Edward) |
Filing 85 ANSWER to Amended Complaint/Petition #61 Defendant Safety-Kleen Systems, Inc.'s Answer to Plaintiffs' First Amended Complaint for Survival and Wrongful Death; Demand for Jury Trial filed by Defendant Safety-Kleen Systems, Inc..(Uchida, David) |
Filing 84 ANSWER to Amended Complaint/Petition #61 filed by Defendant FCA US LLC.(Hansen, David) |
Filing 83 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: Answer to Complaint #72 . The following error(s) was/were found: Local Rule 7.1-1 No Notice of Interested Parties and/or no copies. In response to this notice, the Court may: (1) order an amended or correct document to be filed; (2) order the document stricken; or (3) take other action as the Court deems appropriate. You need not take any action in response to this notice unless and until the Court directs you to do so. (gk) |
Filing 82 Corrected STIPULATION for Extension of Time to File Answer filed by Defendant Worldpac, Inc.. (Attachments: #1 Proposed Order)(Haruthunian, Zorik) |
Filing 81 ANSWER to Amended Complaint/Petition #61 filed by Defendant Kern Oil and Refining Co..(Tobin, Thomas) |
Filing 80 REQUEST FOR JUDICIAL NOTICE re NOTICE OF MOTION AND MOTION to Dismiss Plaintiffs' First Amended Complaint #78 filed by Defendant FCA US LLC. (Attachments: #1 Exhibit 1 - Master Transaction Agreement, #2 Exhibit 2 - Certificate of Formation of FCA, #3 Exhibit 3 - Sale Order dated 6/1/2009, #4 Exhibit 4 - Bk Court Order dated 11/19/2009, #5 Exhibit 5 - Amendment No. 4 to MTA, #6 Exhibit 6 - Ibrahim v. Fiat Chrysler Automobiles)(Hansen, David) |
Filing 79 STIPULATION for Extension of Time to File Response filed by Defendant Worldpac, Inc.. (Attachments: #1 Proposed Order)(Haruthunian, Zorik) |
Filing 78 NOTICE OF MOTION AND MOTION to Dismiss Plaintiffs' First Amended Complaint filed by Defendant FCA US LLC. Motion set for hearing on 1/15/2021 at 10:00 AM before Judge Andre Birotte Jr. (Attachments: #1 Memorandum of Points and Authorities ISO Motion to Dismiss Plaintiffs' 1st Amended Complaint, #2 Proposed Order to Motion to Dismiss) (Hansen, David) |
Filing 77 ORDER RE: JOINT STIPULATION REGARDING THE TIMING FOR DEFENDANT TECHNICAL CHEMICAL COMPANY TO FILE AN ANSWER by Judge Andre Birotte Jr.: Upon Stipulation #75 , IT IS SO ORDERED that Defendant Technical Chemical Company shall have an extension of time to file an Answer or other responsive pleading to the First Amended Complaint #61 of up until 15 days after the Court issues its Order as to Plaintiff's Motion to Remand the Action to Los Angeles Superior Court. (gk) |
Filing 76 ORDER GRANTING DEFENDANTS WURTH USA, INC. AND LIQUI MOLY USA, INC. AN EXTENSION OF TIME TO RESPOND TO PLAINTIFFS' FIRST AMENDED COMPLAINT PURSUANT TO STIPULATION FILED 12/15/2020 by Judge Andre Birotte Jr.: The Court hereby approves the parties' Stipulation #71 , and hereby ORDERS that Defendants Wurth USA, Inc. and Liqui-Moly USA, Inc.'s responsive pleadings to Plaintiffs' First Amended Complaint #61 will be due to be filed and served 15 days after this Court rules on Plaintiffs' anticipated renewed Motion to Remand in this case. (gk) |
Filing 75 Joint STIPULATION for Leave to The Timing to File Answer or Other Responsive Pleading Stipulation and Order re The Timing for Defendant to File Answer or Other Responsive Pleading filed by defendant Technical Chemical Company. (Attachments: #1 Proposed Order Proposed Order re Stipulation re The Timing for Defendant to File Answer or Other Responsive Pleading)(Sun, Catherine) |
Filing 74 Notice of Appearance or Withdrawal of Counsel: for attorney Luis Alfonso Barba counsel for Defendant Universal Products, Inc.. Adding Luis Alfonso Barba as counsel of record for Universal Products, Inc. for the reason indicated in the G-123 Notice. Filed by Defendant Universal Products, Inc.. (Barba, Luis) |
Filing 73 Certification and Notice of Interested Parties CERTIFICATE of Interested Parties filed by Defendant Technical Chemical Company, (Attorney Catherine Sun added to party Technical Chemical Company(pty:dft))(Sun, Catherine) |
Filing 72 ANSWER to Amended Complaint/Petition #61 filed by Defendant Universal Products, Inc..(Barba, Luis) |
Filing 71 STIPULATION for Extension of Time to File Answer filed by defendants Liqui Moly USA Inc., Wurth USA Inc.. (Attachments: #1 Proposed Order Granting Defendants Wurth USA, Inc. and Liqui Moly USA, Inc. an Extension of Time to Respond to Plaintiffs' First Amended Complaint Pursuant to Stipulation Filed December 15, 2020)(Rankin, Jennifer) |
Filing 70 ANSWER to Amended Complaint/Petition #61 Answer to Plaintiff's First Amended Complaint; Demand for Jury Trial filed by Defendant PPG Industries, Inc..(An, Lisa) |
Filing 69 21 DAY Summons Issued re First Amended Complaint #61 as to defendant Universal Products, Inc. (lom) |
Filing 68 ANSWER to Amended Complaint/Petition #61 Defendant BC Stocking Distributing's Answer to First Amended Complaint for Survival and Wrongful Death filed by Defendant BC Stocking Distributing.(Corless, Thomas) |
Filing 67 NOTICE OF DISMISSAL filed by Plaintiffs Kit Wong, Terra Le, Matthew Johnathan Le pursuant to FRCP 41a(1) as to Starco Enterprises, Inc.. (Cole, Evan) |
Filing 66 Request for Clerk to Issue Summons on Notice of Deficiency in Request to Issue Summons,, #64 filed by Plaintiffs Matthew Johnathan Le, Terra Le, Kit Wong. (Cole, Evan) |
Filing 65 ANSWER to Amended Complaint/Petition #61 filed by Defendant Petro Source Refining Corporation.(Swan, Edward) |
Filing 64 NOTICE OF DEFICIENCIES in Request to Issue Summons RE: First Amended Complaint #61 . The following error(s) was found: The caption of the summons must match the caption of the complaint verbatim. If the caption is too large to fit in the space provided, enter the name of the first party and then write "see attached." Next, attach a face page of the complaint or a second page addendum to the Summons. The phrase "et. al," should not be used on the Summons form. The summons cannot be issued until this defect has been corrected. Please correct the defect and re-file your request. (gk) |
Filing 63 (IN CHAMBERS) ORDER DEEMING 1) DEFENDANT LIQUI MOLY USA, INC,'S MOTION TO DISMISS PLAINTIFFS COMPLAINT FOR SURVIVAL AND WRONGFUL DEATH #48 and 2) DEFENDANT WURTH USA, INC.'S MOTION TO DISMISS PLAINTIFFS COMPLAINT FOR SURVIVAL AND WRONGFUL DEATH #49 AS MOOT by Judge Andre Birotte Jr.: In light of the First Amended Complaint (Dkt. No. 61 ), the Motions to Dismiss are DENIED as MOOT, and the hearing scheduled for January 15, 2021, is hereby VACATED. IT IS SO ORDERED. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY. (cb) TEXT ONLY ENTRY |
Filing 62 Request for Clerk to Issue Summons on Amended Complaint/Petition #61 filed by Plaintiffs Matthew Johnathan Le, Terra Le, Kit Wong. (Cole, Evan) |
Filing 61 FIRST AMENDED COMPLAINT against Defendants All Defendants amending Complaint - (Discovery),,, filed by Plaintiffs Kit Wong, Terra Le, Matthew Johnathan Le(Cole, Evan) |
Filing 60 CORPORATE DISCLOSURE STATEMENT filed by Defendant Kern Oil and Refining Co. identifying Kern Oil & Refining Co. as Corporate Parent. (Tobin, Thomas) |
Filing 59 ORDER GRANTING PLAINTIFFS' NOTICE MOTION FOR LEAVE TO FILE FIRST AMENDED COMPLAINT AND DENYING WITHOUT PREJUDICE MOTION TO REMAND AND DENYING WITHOUT PREJUDICE MOTION TO DISMISS by Judge Andre Birotte Jr.: Plaintiffs' Motion for Leave to File First Amended Complaint and for Remand #34 is GRANTED in part and DENIED in part as follows. The Motion was unnecessary insofar as it seeks leave to file a First Amended Complaint ("FAC") because Plaintiffs could have filed an amended complaint as of right. The Court nevertheless GRANTS this part of the Motion and ORDERS Plaintiffs to file their FAC (including with the DOE Amendment referenced in Dkt. No. 55) within ten days of the issuance of this Order. Insofar as the Motion seeks remand based on the FAC, it is premature because the FAC has yet to be filed, and is therefore DENIED WITHOUT PREJUDICE. The Motion to Dismiss #20 is DENIED AS MOOT, without prejudice, in light of Plaintiffs' anticipated filing of their FAC. The other Motions to Dismiss (Dkt. Nos. 48, 49) will be deemed moot once Plaintiffs file their FAC. (gk) |
Filing 58 Corporate Disclosure Statement NOTICE of Interested Parties filed by Defendant Safety-Kleen Systems, Inc., (Wang, Galen) |
Filing 57 ANSWER to Complaint - (Discovery),, For Survival and Wrongful Death filed by Defendant Safety-Kleen Systems, Inc..(Wang, Galen) |
Filing 56 REPLY in support of NOTICE OF MOTION AND MOTION to Dismiss Plaintiffs' Complaint Pursuant to Rule 12(b)(6) #20 filed by Defendant FCA US LLC. (Attachments: #1 Declaration of David Hansen ISO Reply to FCA's Motion to Dismiss, #2 Exhibit A - 10/19/2020 Ltr to Plaintiffs' Counsel Re Bankruptcy, #3 Exhibit B - 10/23/2020 Ltr to Plaintiffs' Counsel Re Dismissal)(Hansen, David) |
Filing 54 REPLY in support of NOTICE OF MOTION AND MOTION for Leave to file First Amended Complaint and to Remand Action to Los Angeles Superior Court #34 filed by Plaintiffs Matthew Johnathan Le, Terra Le, Kit Wong. (Cole, Evan) |
Filing 55 ORDER RE: JOINT STIPULATION REGARDING THE TIMING OF THE FILING OF THE COURT ORDERED DOE AMENDMENT ON UNIVERSAL PRODUCTS, INC. by Judge Andre Birotte Jr.: Upon Stipulation #53 , IT IS SO ORDERED that Plaintiffs may wait to file their Doe Amendment adding UPI as a Defendant until the Court issues its Order as to Plaintiffs' Motion for Leave to File a First Amended Complaint and to Remand the Action to Los Angeles Superior Court. (gk) |
Filing 53 Joint STIPULATION for Order REGARDING THE TIMING OF THE FILING OF THE COURT ORDERED DOE AMENDMENT ON UNIVERSAL PRODUCTS, INC. filed by Defendant Universal Products, Inc.. (Attachments: #1 Proposed Order)(Barba, Luis) |
Filing 52 CORPORATE DISCLOSURE STATEMENT and Notice of Interested Parties filed by Defendant BC Stocking Distributing (Corless, Thomas) |
Filing 51 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: NOTICE OF MOTION AND MOTION to Dismiss Plaintiffs' Complaint for Survival and Wrongful Death [Fed. R. Civ. P., 12(b)(6)] Memorandum of Points and Authorities in Support Thereof #49 . The following error(s) was/were found: Local Rule 7.1-1 No Notice of Interested Parties and/or no copies. In response to this notice, the Court may: (1) order an amended or correct document to be filed; (2) order the document stricken; or (3) take other action as the Court deems appropriate. You need not take any action in response to this notice unless and until the Court directs you to do so. (gk) |
Filing 50 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: NOTICE OF MOTION AND MOTION to Dismiss Plaintiffs' Complaint for Survival and Wrongful Death [Fed. R. Civ. P., 12(b)(6)] Memorandum of Points and Authorities in Support Thereof #48 . The following error(s) was/were found: Local Rule 7.1-1 No Notice of Interested Parties and/or no copies. In response to this notice, the Court may: (1) order an amended or correct document to be filed; (2) order the document stricken; or (3) take other action as the Court deems appropriate. You need not take any action in response to this notice unless and until the Court directs you to do so. (gk) |
Filing 49 NOTICE OF MOTION AND MOTION to Dismiss Plaintiffs' Complaint for Survival and Wrongful Death [Fed. R. Civ. P., 12(b)(6)] Memorandum of Points and Authorities in Support Thereof filed by defendant Wurth USA Inc.. Motion set for hearing on 1/15/2021 at 10:00 AM before Judge Andre Birotte Jr. (Attachments: #1 Proposed Order [Proposed] Order Granting Defendant Wurth USA, Inc.'s Motion to Dismiss Plaintiffs' Complaint for Survival and Wrongful Death [Fed. R. Civ. P., 12(b)(6)]) (Rankin, Jennifer) |
Filing 48 NOTICE OF MOTION AND MOTION to Dismiss Plaintiffs' Complaint for Survival and Wrongful Death [Fed. R. Civ. P., 12(b)(6)] Memorandum of Points and Authorities in Support Thereof filed by defendant Liqui Moly USA Inc.. Motion set for hearing on 1/15/2021 at 10:00 AM before Judge Andre Birotte Jr. (Attachments: #1 Proposed Order [Proposed] Order Granting Defendant Liqui Moly USA, Inc.'s Motion to Dismiss Plaintiffs' Complaint for Survival and Wrongful Death [Fed. R. Civ. P., 12(b)(6)]) (Rankin, Jennifer) |
Filing 47 OPPOSITION in Opposition to Defendant FCA US's Motion to Dismiss re: NOTICE OF MOTION AND MOTION to Dismiss Plaintiffs' Complaint Pursuant to Rule 12(b)(6) #20 filed by Plaintiffs Matthew Johnathan Le, Terra Le, Kit Wong. (Attachments: #1 Exhibit A - D to Plaintiffs Opposition)(Cole, Evan) |
Filing 46 Opposition re: NOTICE OF MOTION AND MOTION for Leave to file First Amended Complaint and to Remand Action to Los Angeles Superior Court #34 filed by Defendant FCA US LLC. (Hansen, David) |
Filing 45 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: Answer to Complaint #35 . The following error(s) was/were found: Defendants filed an Answer to Complaint with state court prior to removal. In response to this notice, the Court may: (1) order an amended or correct document to be filed; (2) order the document stricken; or (3) take other action as the Court deems appropriate. You need not take any action in response to this notice unless and until the Court directs you to do so. (gk) |
Filing 44 DECLINED STATEMENT OF CONSENT TO PROCEED before the assigned Magistrate Judge (Hugo, Edward) |
Filing 43 NOTICE filed by Defendant OReilly Automotive Stores. DEFENDANT OREILLY AUTO ENTERPRISES, LLCS NOTICE OF INTERESTED PARTIES (Hugo, Edward) |
Filing 42 NOTICE of Appearance filed by attorney Edward R. Hugo on behalf of Defendant OReilly Automotive Stores (Hugo, Edward) |
Filing 41 ANSWER to Complaint - (Discovery),, DEFENDANT OREILLY AUTO ENTERPRISES, LLCS ANSWER TO COMPLAINT FOR SURVIVAL AND WRONGFUL DEATH FROM TOXIC INJURIES filed by Defendant OReilly Automotive Stores.(Attorney Edward R. Hugo added to party OReilly Automotive Stores(pty:dft))(Hugo, Edward) |
Filing 40 ORDER RE: JOINT STIPULATION REGARDING SERVICE ON DEFENDANT STARCO ENTERPRISES, INC. D/B/A BLUE DEVIL PRODUCTS by Judge Andre Birotte Jr.: Upon Stipulation #33 , IT IS SO ORDERED: Plaintiffs will file a Doe Amendment to the Complaint adding UNIVERSAL PRODUCTS, INC. as a defendant to this action. Service on the law firm of CMBG3 will constitute proper service on UNIVERSAL PRODUCTS, INC. Once the Plaintiffs file the Doe Amendment to the Complaint adding UNIVERSAL PRODUCTS, INC., Plaintiffs will file a Request for Dismissal without prejudice dismissing STARCO ENTERPRISES, INC. d/b/a BLUE DEVIL PRODUCTS, a California corporation, from this action. Parties stipulated that STARCO ENTERPRISES, INC. d/b/a BLUE DEVIL PRODUCTS, a California corporation will not file any responsive pleadings on this case. (gk) |
Filing 39 CORPORATE DISCLOSURE STATEMENT AND NOTICE OF INTERESTED PARTIES filed by Defendant Valvoline, Inc. (Levin, Jason) |
Filing 38 CORPORATE DISCLOSURE STATEMENT AND NOTICE OF INTERESTED PARTIES filed by Defendant Chevron U.S.A., Inc. (Levin, Jason) |
Filing 37 CORPORATE DISCLOSURE STATEMENT AND NOTICE OF INTERESTED PARTIES filed by Defendant Union Oil Company of California (Levin, Jason) |
Filing 36 CORPORATE DISCLOSURE STATEMENT AND NOTICE OF INTERESTED PARTIES filed by Defendant Total Petrochemicals and Refining USA, Inc. (Levin, Jason) |
Filing 35 ANSWER to Complaint - (Discovery),, filed by Defendant Chevron U.S.A., Inc., Total Petrochemicals and Refining USA, Inc., Union Oil Company of California, Valvoline, Inc..(Levin, Jason) |
Filing 34 NOTICE OF MOTION AND MOTION for Leave to file First Amended Complaint and to Remand Action to Los Angeles Superior Court filed by Plaintiffs Matthew Johnathan Le, Terra Le, Kit Wong. Motion set for hearing on 12/4/2020 at 10:00 AM before Judge Andre Birotte Jr. (Attachments: #1 Proposed First Amended Complaint, #2 Declaration of Evan R Cole in Support of Motion for Leave to File FAC and to Remand to LASC, #3 Exhibit A to Decl of Evan R Cole, #4 Exhibit B to Decl of Evan R Cole, #5 Exhibit C to Decl of Evan R Cole, #6 Proposed Order Granting Mtn for Leave to File FAC and to Remand to LASC) (Cole, Evan) |
Filing 33 Joint STIPULATION for Order Regarding Service On Defendant Starco Enterprises, Inc. D/B/A Blue Devil Products filed by Defendant Universal Products, Inc.. (Attachments: #1 Proposed Order)(Barba, Luis) |
Filing 32 NOTICE OF ERRATA filed by Defendant Universal Products, Inc.. correcting Stipulation to Dismiss Party #31 re Defendant Safety-Kleen Systems, Inc. (Barba, Luis) |
Filing 31 Joint STIPULATION to Dismiss Defendant Safety-Kleen Systems, Inc. filed by Defendant Universal Products, Inc.. (Attachments: #1 Proposed Order)(Attorney Luis Alfonso Barba added to party Universal Products, Inc.(pty:dft))(Barba, Luis) |
Filing 30 CORPORATE DISCLOSURE STATEMENT and Certification and Notice of Interested Parties filed by Defendant Petro Source Refining Corporation identifying Petro Source Investments, Inc. as Corporate Parent. (Swan, Edward) |
Filing 29 NOTICE of Appearance filed by attorney Edward P Swan, Jr on behalf of Defendant Petro Source Refining Corporation (Swan, Edward) |
Filing 28 NOTICE of Appearance filed by attorney Stefanie Warren on behalf of Defendant Petro Source Refining Corporation (Warren, Stefanie) |
Filing 27 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: Answer to Complaint (Discovery) #24 . The following error(s) was/were found: Local Rule 7.1-1 No Notice of Interested Parties and/or no copies. In response to this notice, the Court may: (1) order an amended or correct document to be filed; (2) order the document stricken; or (3) take other action as the Court deems appropriate. You need not take any action in response to this notice unless and until the Court directs you to do so. (gk) |
Filing 26 NOTICE OF CLERICAL ERROR Re: (Conformed Copy) Answer to Complaint filed by Total Petrochemicals & Refining USA. Inc. The docket clerk made an entry to capture the Answer filed on 10/20/2020 in state court. Due to clerical error, that docket entry indicates that the Answer was filed on behalf of Defendants Chevron U.S.A. Inc., Union Oil Company of California, Valvoline Inc. and Total Petrochemicals & Refining USA, Inc. It was actually filed as to Total Petrochemicals & Refining USA, Inc., only. See Supplement to Notice of Removal filed 11/2/2020, document number 23, attachment 4. (gk) |
(CONFORMED COPY) ANSWER to Complaint #1 filed by Defendant JX Nippon Oil & Energy USA, Inc. [Electronically filed on 10/13/2020 by Los Angeles Superior Court, Case No. 20STCV27707] (Attorney Guy R Gruppie added to party JX Nippon Oil and Energy USA Inc.(pty:dft), Attorney Eric P Weiss added to party JX Nippon Oil and Energy USA Inc.(pty:dft))(gk) |
(CONFORMED COPY) ANSWER to Complaint #1 filed by Defendant Technical Chemical Company. [Electronically filed on 10/23/2020 by Los Angeles Superior Court, Case No. 20STCV27707] (Attorney G David Rubin added to party Technical Chemical Company(pty:dft), Attorney Ani Megerdichian added to party Technical Chemical Company(pty:dft))(gk) |
(CONFORMED COPY) ANSWER to Complaint #1 ; with Jury Demand filed by Defendants Chevron U.S.A. Inc., Union Oil Company of California, Valvoline Inc. and Total Petrochemicals & Refining USA, Inc. [Electronically filed on 10/20/2020 by Los Angeles Superior Court, Case No. 20STCV27707] (Attorney Jason Levin added to party Chevron U.S.A., Inc.(pty:dft), Attorney Jennifer Brenda Bonneville added to party Chevron U.S.A., Inc.(pty:dft), Attorney Nicole Areli Harrison added to party Chevron U.S.A., Inc.(pty:dft), Attorney Jason Levin added to party Total Petrochemicals and Refining USA, Inc.(pty:dft), Attorney Jennifer Brenda Bonneville added to party Total Petrochemicals and Refining USA, Inc.(pty:dft), Attorney Nicole Areli Harrison added to party Total Petrochemicals and Refining USA, Inc.(pty:dft), Attorney Jason Levin added to party Union Oil Company of California(pty:dft), Attorney Jennifer Brenda Bonneville added to party Union Oil Company of California(pty:dft), Attorney Nicole Areli Harrison added to party Union Oil Company of California(pty:dft), Attorney Jason Levin added to party Valvoline, Inc.(pty:dft), Attorney Jennifer Brenda Bonneville added to party Valvoline, Inc.(pty:dft), Attorney Nicole Areli Harrison added to party Valvoline, Inc.(pty:dft))(gk) |
(CONFORMED COPY) ANSWER to Complaint #1 ; with Jury Demand filed by Defendant Chevron USA, Inc., Union Oil Company of California and Valvoline Inc. [Electronically filed on 9/28/2020 by Los Angeles Superior Court, Case No. 20STCV27707] (gk) |
(CONFORMED COPY) ANSWER to Complaint #1 filed by Defendant Kern Oil & Refining Co. [Electronically filed on 10/19/2020 by Los Angeles Superior Court, Case No. 20STCV27707] (Attorney Thomas John Tobin added to party Kern Oil and Refining Co.(pty:dft), Attorney Matthew Paul Nugent added to party Kern Oil and Refining Co.(pty:dft))(gk) |
(CONFORMED COPY) ANSWER to Complaint #1 filed by Defendant BC Stocking Distributing. [Electronically filed on 10/13/2020 by Los Angeles Superior Court, Case No. 20STCV27707] (Attorney Thomas Condie Corless added to party BC Stocking Distributing(pty:dft), Attorney Sue H Kim added to party BC Stocking Distributing(pty:dft))(gk) |
Filing 25 SUPPLEMENT to the Notice of Removal filed by Defendant Worldpac, Inc.. (Attachments: #1 Exhibit Motion to Strike Portions of Plaintiffs' Complaint, #2 Exhibit Demurrer to Plaintiffs' Complaint)(Attorney Zorik Haruthunian added to party Worldpac, Inc.(pty:dft))(Haruthunian, Zorik) |
Filing 24 ANSWER to Complaint - (Discovery),, with JURY DEMAND filed by Defendant Petro Source Refining Corporation.(Attorney Anthony Michael Fares added to party Petro Source Refining Corporation(pty:dft))(Fares, Anthony) |
Filing 23 SUPPLEMENT to Notice of Removal (Attorney Civil Case Opening),, #1 , Complaint - (Discovery),, filed by Defendant FCA US LLC. (Attachments: #1 Exhibit A - PPG Industries' Demurrer and Motion to Strike, #2 Exhibit B - Technical Chemical Company's Answer, #3 Exhibit C - JX Nippon Oil & Energy USA Inc.'s Answer, #4 Exhibit D - Total Petrochemicals & Refining USA Inc.'s Answer, #5 Exhibit E - Valvoline, Inc., Chevron U.S.A., Inc., and Union Oil Company of California's Answer, #6 Exhibit F - BC Stocking Distributing's Answer, #7 Exhibit G - Kern Oil & Refining Co.'s Answer)(Hansen, David) |
Filing 22 ORDER SETTING SCHEDULING CONFERENCE by Judge Andre Birotte Jr. Scheduling Conference set for 2/19/2021 at 10:00 AM before Judge Andre Birotte Jr. (cb) |
Filing 21 REQUEST FOR JUDICIAL NOTICE re NOTICE OF MOTION AND MOTION to Dismiss Plaintiffs' Complaint Pursuant to Rule 12(b)(6) #20 filed by Defendant FCA US LLC. (Attachments: #1 Exhibit 1 - Master Transaction Agreement dated 5/19/2009, #2 Exhibit 2 - Certificate of Formation of FCA US LLC dated 4/28/2009, #3 Exhibit 3 - Sale Order dated 6/1/2009, #4 Exhibit 4 - Bankruptcy Court Order dated 11/19/2009, #5 Exhibit 5 - Amendment No. 4 to MTA dated 10/29/2009)(Hansen, David) |
Filing 20 NOTICE OF MOTION AND MOTION to Dismiss Plaintiffs' Complaint Pursuant to Rule 12(b)(6) filed by Defendant FCA US LLC. Motion set for hearing on 12/4/2020 at 10:00 AM before Judge Andre Birotte Jr. (Attachments: #1 Memorandum of Points and Authorities ISO FCA's Motion to Dismiss Plaintiffs' Complaint Pursuant to Rule 12(b)(6), #2 Proposed Order Granting FCA's Motion to Dismiss Plaintiffs' Complaint) (Hansen, David) |
Filing 19 Notice of Appearance or Withdrawal of Counsel: for attorney Lisa Y An counsel for Defendant PPG Industries, Inc.. Adding Lisa Y. An as counsel of record for PPG Industries, Inc. for the reason indicated in the G-123 Notice. Filed by Defendant PPG Industries, Inc.. (Attorney Lisa Y An added to party PPG Industries, Inc.(pty:dft))(An, Lisa) |
Filing 18 Notice of Appearance or Withdrawal of Counsel: for attorney Kja Kelike Shelene Harper-Gopaul counsel for Defendant PPG Industries, Inc.. Adding Kja Harper-Gopaul as counsel of record for PPG Industries, Inc. for the reason indicated in the G-123 Notice. Filed by Defendant PPG Industries, Inc.. (Attorney Kja Kelike Shelene Harper-Gopaul added to party PPG Industries, Inc.(pty:dft))(Harper-Gopaul, Kja) |
Filing 17 STIPULATION Extending Time to Answer the complaint as to Wurth USA Inc. answer now due 11/25/2020, filed by defendant Wurth USA Inc..(Attorney Jennifer Hunt Rankin added to party Wurth USA Inc.(pty:dft))(Rankin, Jennifer) |
Filing 16 STIPULATION for Extension of Time to File Answer to November 13, 2020 filed by defendant Liqui Moly USA Inc..(Attorney Jennifer Hunt Rankin added to party Liqui Moly USA Inc.(pty:dft))(Rankin, Jennifer) |
Filing 15 NOTICE of Interested Parties filed by Defendant PPG Industries, Inc., (Hurrell, Thomas) |
Filing 14 ANSWER to Complaint - (Discovery),, with JURY DEMAND filed by Defendant PPG Industries, Inc..(Attorney Thomas C Hurrell added to party PPG Industries, Inc.(pty:dft))(Hurrell, Thomas) |
Filing 13 Notice of Appearance or Withdrawal of Counsel: for attorney Galen Bo Chuan Wang counsel for Defendant Safety-Kleen Systems, Inc.. Filed by Defendant Safety-Kleen Systems, Inc.. (Attorney Galen Bo Chuan Wang added to party Safety-Kleen Systems, Inc.(pty:dft))(Wang, Galen) |
Filing 12 NOTICE TO FILER OF DEFICIENCIES in Electronically Filed Documents RE: Notice of Appearance #11 . The following error(s) was/were found: Incorrect event selected. Correct event to be used is: Notice of Appearance of Withdrawal of Counsel G123.. In response to this notice, the Court may: (1) order an amended or correct document to be filed; (2) order the document stricken; or (3) take other action as the Court deems appropriate. You need not take any action in response to this notice unless and until the Court directs you to do so. (ak) |
Filing 11 NOTICE of Appearance filed by attorney Patrick James Foley on behalf of Defendant Safety-Kleen Systems, Inc. (Attorney Patrick James Foley added to party Safety-Kleen Systems, Inc.(pty:dft))(Foley, Patrick) |
Filing 10 STIPULATION Extending Time to Answer the complaint as to Safety-Kleen Systems, Inc. answer now due 11/25/2020, filed by defendant Safety-Kleen Systems, Inc..(Uchida, David) |
Filing 9 Notice of Appearance or Withdrawal of Counsel: for attorney David M Uchida counsel for Defendant Safety-Kleen Systems, Inc.. Adding David M. Uchida as counsel of record for Safety-Kleen Systems, Inc. for the reason indicated in the G-123 Notice. Filed by defendant Safety-Kleen Systems, Inc.. (Attorney David M Uchida added to party Safety-Kleen Systems, Inc.(pty:dft))(Uchida, David) |
Filing 8 STANDING ORDER upon filing of the complaint by Judge Andre Birotte Jr. (cb) |
Filing 7 NOTICE TO PARTIES OF COURT-DIRECTED ADR PROGRAM filed. (lh) |
Filing 6 NOTICE OF ASSIGNMENT to District Judge Andre Birotte Jr and Magistrate Judge Gail J. Standish. (lh) |
Filing 5 DEMAND for Jury Trial filed by Plaintiff Kit Wong.. (Cole, Evan) |
CONFORMED FILED COPY OF COMPLAINT against Defendants Amtecol, Inc., BC Stocking Distributing, Calsol, Inc., Chevron U.S.A., Inc., Does, FCA US LLC, JX Nippon Oil and Energy USA Inc., Kern Oil and Refining Co., Liqui Moly USA Inc., Master Chemical Corporation, OReilly Automotive Stores, PPG Industries, Inc., Petro Source Refining Corporation, Safety-Kleen Systems, Inc., Starco Enterprises, Inc., Technical Chemical Company, Total Petrochemicals and Refining USA, Inc., Union Oil Company of California, Valvoline, Inc., Worldpac, Inc., Wurth USA Inc. Jury Demanded, filed by Plaintiffs Kit Wong, Terra Le, Matthew Johnathan Le. (FILED IN LOS ANGELES COUNTY SUPERIOR COURT ON 7/21/2020 SUBMITTED ATTACHED TO NOTICE OF REMOVAL #1 ) (lh) |
Filing 4 NOTICE OF ERRATA filed by Defendant FCA US LLC. correcting Notice of Removal (Attorney Civil Case Opening),, #1 (Attachments: #1 Exhibit 7 - Opinion Granting Defendant's Motion to Dismiss)(Hansen, David) |
Filing 3 Certification and NOTICE of Interested Parties filed by Defendant FCA US LLC, identifying FCA North America Holdings LLC, FCA Holdco B.V., Fiat Chrysler Automobiles N.V.. (Hansen, David) |
Filing 2 CIVIL COVER SHEET filed by Defendant FCA US LLC. (Hansen, David) |
Filing 1 NOTICE OF REMOVAL from Los Angeles Superior Court, case number 20STCV27707 Receipt No: ACACDC-28684887 - Fee: $400, filed by Defendant FCA US LLC. (Attachments: #1 Exhibit 1 - Summons and Complaint, #2 Exhibit 2 - State Civil Case Cover Sheet, #3 Exhibit 3 - Master Transaction Agreement of 5/31/2009, #4 Exhibit 4 - Order of 6/1/2009, #5 Exhibit 5 - Stip & Agreed Order Amendment No. 4 to Master Transaction Agreement of 11/19/2009, #6 Exhibit 6 - Amendment No. 4 to Master Transaction Agreement of 11/19/2009, #7 Exhibit 7 - Opinion Granting Defendant's Motion to Dismiss) (Attorney David P Hansen added to party FCA US LLC(pty:dft))(Hansen, David) |
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