Antonio Castaneda et al v. FCA US LLC et al
Josefina Castaneda and Antonio Castaneda |
Bravo Chrysler Dodge Jeep Ram of Alhambra, FCA US LLC and Does 1 through 10, inclusive |
2:2021cv01653 |
February 23, 2021 |
US District Court for the Central District of California |
Percy Anderson |
Alka Sagar |
Contract Product Liability |
28 U.S.C. § 1441 Notice of Removal - Product Liability |
Plaintiff |
Docket Report
This docket was last retrieved on April 21, 2021. A more recent docket listing may be available from PACER.
Document Text |
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Filing 16 Receipt of Order of Remand filed. (mrgo) |
Filing 15 TRANSMITTAL of documents to Los Angeles County Superior Court. A certified copy of the order of remand and a copy of the docket sheet from this court was sent to Los Angeles County Superior Court. (mrgo) |
Filing 14 MINUTE ORDER IN CHAMBERS - COURT ORDER by Judge Percy Anderson. On March 25, 2021, the Court issued an order provisionally remanding this action to the Los Angeles County Superior Court as a result of a procedural defect in the Notice of Removal. The Court stayed the order remanding the action to provide plaintiffs with an opportunity to object to the remand and waive the procedural defect. Specifically, plaintiffs were directed to inform the Court in writing by March 30, 2021, if plaintiffs objected to the remand. To date, despite the passage of the deadline set by the Court, plaintiffs have not waived the procedural defect. Accordingly, for the reasons stated in the Court's March 25, 2021 Order, this action is remanded to Los Angeles County Superior Court, Case number 20STCV21007. Case Terminated. Made JS-6. (mrgo) |
Filing 13 STANDING ORDER by Judge Percy Anderson. READ THIS ORDER CAREFULLY. IT CONTROLS THE CASE AND DIFFERS IN SOME RESPECTS FROM THE LOCAL RULES. (lom) |
Filing 12 MINUTE ORDER IN CHAMBERS - COURT ORDER by Judge Percy Anderson. The Court therefore concludes that FCAs second Notice of Removal is procedurally defective. See 28 U.S.C. 1446(b). Accordingly, the Court remands this action to Los Angeles County Superior Court, Case No. 20STCV21007. See 28 U.S.C. 1447(c). The Court stays this order until March 30, 2021. If Plaintiffs wish to remain in federal court and thereby waive the procedural defect discussed above, Plaintiffs shall notify the Court in writing on or before March 30, 2021. If Plaintiffs do not file such a Notice, the Court will conclude that they have not waived the procedural defect. After that date, the Court will remand this action to Los Angeles County Superior Court as a result of the procedural defect in the Notice of Removal. (SEE DOCUMENT FOR DETAILS) (mrgo) |
Filing 11 ORDER TO REASSIGN CASE Pursuant General Order 21-01 (identical case) by Judge Josephine L. Staton, Case Management and Assignment Committee Chair. Case transferred to the calendar of Judge Percy Anderson for all further proceedings. All discovery matters are transferred to Magistrate Judge Alka Sagar. Case number now reads as 2:21-cv-01653 PA(ASx). (rn) |
Filing 10 CERTIFICATE OF SERVICE filed by Defendant FCA US LLC, re Notice to Parties of Court-Directed ADR Program (ADR-8) - optional html form #9 , Notice of Assignment to United States Judges(CV-18) - optional html form #8 served on 03/04/21. (Sentlinger, Eric) |
Filing 9 NOTICE TO PARTIES OF COURT-DIRECTED ADR PROGRAM filed. (ghap) |
Filing 8 NOTICE OF ASSIGNMENT to District Judge Dolly M. Gee and Magistrate Judge Karen L. Stevenson. (ghap) |
CONFORMED FILED COPY OF ANSWER to Complaint - (Discovery), filed by Defendant FCA US LLC. (FILED IN STATE COURT ON 7/9/2020 SUBMITTED ATTACHED EXHIBIT M)(ghap) |
CONFORMED FILED COPY OF PROOF OF SERVICE Executed by Plaintiff Antonio Castaneda, Josefina Castaneda, upon Defendant Bravo Chrysler Dodge Jeep Ram of Alhambra served on 6/16/2020, answer due 7/7/2020. Service of the Summons and Complaint were executed upon David Macias, Sales Manager in compliance with California Code of Civil Procedure by substituted service at business address and by also mailing a copy.Original Summons NOT returned. (FILED IN STATE COURT ON 7/1/2020 SUBMITTED ATTACHED EXHIBIT L) (ghap) |
CONFORMED FILED COPY OF PROOF OF SERVICE Executed by Plaintiff Antonio Castaneda, Josefina Castaneda, upon Defendant FCA US LLC served on 6/16/2020, answer due 7/7/2020. Service of the Summons and Complaint were executed upon Peter Cayetano, CT Corporation System, Registered Agent in compliance with California Code of Civil Procedure by substituted service at business address and by also mailing a copy.Original Summons NOT returned. (FILED IN STATE COURT ON 6/30/20 SUBMITTED ATTACHED EXHIBIT K) (ghap) |
CONFORMED FILED COPY REQUEST FOR DISMISSAL as to Bravo Chrysler Dodge Jeep Ram of Alhambra without prejudice filed by plaintiffs Antonio Castaneda, Josefina Castaneda. (FILED IN STATE COURT ON 1/29/2021 SUBMITTED ATTACHED EXHIBIT B) (ghap) |
CONFORMED FILED COPY OF ANSWER to Complaint - (Discovery), filed by Defendant Bravo Chrysler Dodge Jeep Ram of Alhambra. (FILED IN STATE COURT ON 8/31/2020 SUBMITTED ATTACHED EXHIBIT E)(ghap) |
CONFORMED FILED COPY OF COMPLAINT against Defendants Bravo Chrysler Dodge Jeep Ram of Alhambra, Does, FCA US LLC. Jury Demanded., filed by plaintiffs Antonio Castaneda, Josefina Castaneda. (FILED IN STATE COURT ON 6/3/2020 SUBMITTED ATTACHED EXHIBIT A) (ghap) |
Filing 7 NOTICE of Appearance filed by attorney Spencer Peter Hugret on behalf of Defendant FCA US LLC (Attachments: #1 Certificate/ Proof of Service)(Attorney Spencer Peter Hugret added to party FCA US LLC(pty:dft))(Hugret, Spencer) |
Filing 6 NOTICE of Appearance filed by attorney Elysia Buckley on behalf of Defendant FCA US LLC (Attachments: #1 Certificate/ Proof of Service)(Attorney Elysia Buckley added to party FCA US LLC(pty:dft))(Buckley, Elysia) |
Filing 5 NOTICE of Appearance filed by attorney Amy Patricia Maclear on behalf of Defendant FCA US LLC (Attachments: #1 Certificate/ Proof of Service)(Attorney Amy Patricia Maclear added to party FCA US LLC(pty:dft))(Maclear, Amy) |
Filing 4 NOTICE of Appearance filed by attorney Eric D Sentlinger on behalf of Defendant FCA US LLC (Attachments: #1 Certificate/ Proof of Service)(Sentlinger, Eric) |
Filing 3 NOTICE of Interested Parties filed by Defendant FCA US LLC, identifying FCA US LLC; FCA North America Holdings LLC; FCA Holdco B.V.; Stellantis N.V.. (Attachments: #1 Certificate/ Proof of Service)(Sentlinger, Eric) |
Filing 2 CIVIL COVER SHEET filed by Defendant FCA US LLC. (Attachments: #1 Certificate/ Proof of Service)(Sentlinger, Eric) |
Filing 1 NOTICE OF REMOVAL from Los Angeles County Superior Court, case number 20STCV21007 Receipt No: ACACDC-30660785 - Fee: $402, filed by Defendant FCA US LLC. (Attachments: #1 Declaration of Eric D. Sentlinger, #2 Exhibit A to Declaration of Eric D. Sentlinger, #3 Exhibit B to Declaration of Eric D. Sentlinger, #4 Exhibit C to Declaration of Eric D. Sentlinger, #5 Exhibit D to Declaration of Eric D. Sentlinger, #6 Exhibit E to Declaration of Eric D. Sentlinger, #7 Exhibit F to Declaration of Eric D. Sentlinger, #8 Exhibit G to Declaration of Eric D. Sentlinger, #9 Exhibit H to Declaration of Eric D. Sentlinger, #10 Exhibit I to Declaration of Eric D. Sentlinger, #11 Exhibit J to Declaration of Eric D. Sentlinger, #12 Exhibit K to Declaration of Eric D. Sentlinger, #13 Exhibit L to Declaration of Eric D. Sentlinger, #14 Exhibit M to Declaration of Eric D. Sentlinger, #15 Exhibit N to Declaration of Eric D. Sentlinger, #16 Exhibit O to Declaration of Eric D. Sentlinger, #17 Exhibit P to Declaration of Eric D. Sentlinger, #18 Exhibit Q to Declaration of Eric D. Sentlinger, #19 Exhibit R to Declaration of Eric D. Sentlinger, #20 Exhibit S to Declaration of Eric D. Sentlinger, #21 Exhibit T to Declaration of Eric D. Sentlinger, #22 Exhibit U to Declaration of Eric D. Sentlinger, #23 Exhibit V to Declaration of Eric D. Sentlinger, #24 Exhibit W to Declaration of Eric D. Sentlinger, #25 Exhibit X to Declaration of Eric D. Sentlinger, #26 Exhibit Y to Declaration of Eric D. Sentlinger, #27 Exhibit Z to Declaration of Eric D. Sentlinger, #28 Exhibit AA to Declaration of Eric D. Sentlinger, #29 Exhibit BB to Declaration of Eric D. Sentlinger, #30 Exhibit CC to Declaration of Eric D. Sentlinger, #31 Exhibit DD to Declaration of Eric D. Sentlinger, #32 Exhibit EE to Declaration of Eric D. Sentlinger, #33 Exhibit FF to Declaration of Eric D. Sentlinger, #34 Exhibit GG to Declaration of Eric D. Sentlinger, #35 Exhibit HH to Declaration of Eric D. Sentlinger, #36 Exhibit II to Declaration of Eric D. Sentlinger, #37 Exhibit JJ to Declaration of Eric D. Sentlinger, #38 Exhibit KK to Declaration of Eric D. Sentlinger, #39 Exhibit LL to Declaration of Eric D. Sentlinger, #40 Exhibit MM to Declaration of Eric D. Sentlinger, #41 Exhibit NN to Declaration of Eric D. Sentlinger, #42 Exhibit OO to Declaration of Eric D. Sentlinger, #43 Exhibit PP to Declaration of Eric D. Sentlinger, #44 Exhibit QQ to Declaration of Eric D. Sentlinger, #45 Exhibit RR to Declaration of Eric D. Sentlinger, #46 Exhibit SS to Declaration of Eric D. Sentlinger, #47 Exhibit TT to Declaration of Eric D. Sentlinger, #48 Exhibit UU to Declaration of Eric D. Sentlinger, #49 Exhibit VV to Declaration of Eric D. Sentlinger, #50 Exhibit WW to Declaration of Eric D. Sentlinger, #51 Exhibit XX to Declaration of Eric D. Sentlinger, #52 Exhibit YY to Declaration of Eric D. Sentlinger, #53 Exhibit ZZ to Declaration of Eric D. Sentlinger, #54 Exhibit AAA to Declaration of Eric D. Sentlinger, #55 Exhibit BBB to Declaration of Eric D. Sentlinger, #56 Exhibit CCC to Declaration of Eric D. Sentlinger, #57 Exhibit DDD to Declaration of Eric D. Sentlinger, #58 Exhibit EEE to Declaration of Eric D. Sentlinger, #59 Certificate/Proof of Service) (Attorney Eric D Sentlinger added to party FCA US LLC(pty:dft))(Sentlinger, Eric) |
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