Close et al v. Ethicon, Inc. et al
Terrance Close and Cynthia Close |
Ethicon, Inc., Johnson & Johnson and Ethicon, LLC |
1:2019cv03100 |
October 30, 2019 |
US District Court for the District of Colorado |
Michael E Hegarty |
Personal Inj. Prod. Liability |
28 U.S.C. § 1332 |
Plaintiff |
Docket Report
This docket was last retrieved on November 20, 2019. A more recent docket listing may be available from PACER.
Document Text |
---|
Filing 42 Civil Case Terminated. The Clerk's Office was contacted by the transferring court to communicate that this case was transferred to Colorado in error and was properly transferred to California. Text Only Entry. (agarc, ) |
|
Filing 37 Case transferred in from District of West Virginia Southern; Case Number 2:13-cv-05940. File, transfer order and docket sheet received |
Filing 40 Magistrate Judge consent form issued pursuant to D.C.COLO.LCivR 40.1, direct assignment of civil actions to full time magistrate judges. (cmadr, ) |
Filing 39 Case assigned to Magistrate Judge Michael E. Hegarty. Text Only Entry. (cmadr, ) |
Filing 38 FIRST AND FINAL NOTICE TO ALL ATTORNEY(S) AND UNREPRESENTED PARTIES IN REMOVED, TRANSFERRED, OR OTHER CASES. To receive any further notice in a case removed or transferred to this court, or special matters including discovery disputes, bankruptcy appeals, or withdrawls of reference, Multi-district litigation (MDL), etc., all attorneys and unrepresented parties must enter an appearance under D.C.COLO.LAttyR 5(a). An attorney must be an active member of this court's bar and be in good standing in accordance with D.C.COLO.LAttyR 3. A waiver of the fee for bar admission may apply in limited situations. (Text Only Entry) (cmadr, ) |
Filing 36 CONTINUED DESIGNATION OF RECORD for MDL transfers re: 2:12-md-02327 - Ethicon, Inc. (Attachments: #1 (2060) P mte Ulatowski, #2 (2076) P mte Longacre, #3 (2455) Attachment 1, #4 (2455) P mte Thames_Part1, #5 (2455) P mte Thames_Part2, #6 (2458) memo in support MTE Thames, #7 (2841) memo MTE Thames, #8 (2931) Plaintiff's memo in opp to MTE Rosi w exhibits, #9 (2949) P response MTE Pence, #10 (3037) P reply mte Thames, #11 (3614) P mte Dr. Olga Ramm, #12 (3767) Attachment 1, #13 (3767) Attachment 2, #14 (3767) Attachment 3, #15 (3767) Attachment 4, #16 (5482) P memo in opp to MTE Rosenzweig w exh, #17 (6882) P mte Kammerer Doak, #18 (7045) P opp memo to D mte Iakovlev)(Balefsky, Lee) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 35 CONTINUED DESIGNATION OF RECORD for MDL transfers re: 2:12-md-02327 - Ethicon, Inc. (Attachments: #1 MOTION by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson to Limit the Testimony of Prof. Dr. Med. Uwe Klinge in Certain Wave 4 Cases pt 2, #2 MOTION by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson to Limit the Testimony of Prof. Dr. Med. Uwe Klinge in Certain Wave 4 Cases pt 3, #3 MOTION by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson to Limit the Testimony of Prof. Dr. Med. Uwe Klinge in Certain Wave 4 Cases pt 4, #4 MOTION by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson to Limit the Testimony of Prof. Dr. Med. Uwe Klinge in Certain Wave 4 Cases pt 5, #5 MOTION by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson to Limit the Testimony of Prof. Dr. Med. Uwe Klinge in Certain Wave 4 Cases pt 6, #6 MOTION by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson to Limit the Testimony of Prof. Dr. Med. Uwe Klinge in Certain Wave 4 Cases pt 7, #7 3630-MEMORANDUM In Support of Motion to Limit Testimony of Prof. Dr. Med. Uwe Klinge, #8 3767-RESPONSE in Opposition to Defendants' Motion to Exclude the Opinions and Testimony of Prof. Dr. Med. Uwe Klinge, #9 3855-REPLY in Support of Motion to Limit the Testimony of Prof. Dr. Med. Uwe Klinge, #10 6648-NOTICE of Adoption of Ethicon's Motion to Exclude the Opinions and Testimony of Prof. Med. Uwe Klinge Filed in Wave 4, #11 6833-Amended Notice of Adoption of Ethicon'[s Motion to Exclude the Opinions and Testimony of Prof. Dr. Med. Uwe Klinge Filed in Wave 4, #12 6926-NOTICE of Adoption of Prior Daubert Response of Prof Dr. Med. Uwe Klinge, MD for Wave 8 by All Plaintiffs re: 3767 Response In Opposition, #13 7123-NOTICE of Adoption of Prior Daubert Reply Regarding Prof. Dr. Med. Uwe Klinge for Wave 8 by Ethicon, Inc., Johnson & Johnson re: 3855 Reply to Response, #14 2759-MOTION to Exclude Peggy Pence, Ph.D., #15 2760-MEMORANDUM in Support of Motion to Exclude Peggy Pence, Ph.D., #16 2949-RESPONSE in Opposition to Defendants' Motion to Exclude Peggy Pence, Ph.D., #17 3017-REPLY in Support of Motion to Exclude Peggy Pence, Ph.D, #18 6821-NOTICE of Adoption of Prior Daubert Motion to Exclude Peggy Pence, Ph.D., for Ethicon Wave 8 2759 , [2760, #19 6958-NOTICE of Adoption of Prior Daubert Response 2949 of Peggy Pence, Ph.D. for Wave 8, #20 7177-NOTICE of Adoption of Prior Reply in Support of Daubert Motion to Exclude Peggy Pence, Ph.D., 3017 for Ethicon Wave 8, #21 2817-Defendants' Motion to Exclude Certain General Opinions of Bruce Rosenzweig, M.D., #22 2818-MEMORANDUM in Support of Motion to Exclude Certain General Opinions of Bruce Rosenzweig, M.D., #23 2937-MEMORANDUM by Certain Plaintiffs in Wave 3 Cases in opposition to 2817 MOTION by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson to Exclude Certain General Opinions of Bruce Rosenzweig, M.D. in Certain Wave 3 Cases, #24 5332-MOTION to Exclude Certain General Opinions of Bruce Rosenzweig, M.D., #25 MEMORANDUM in Support of Motion to Exclude Certain General Opinions of Bruce Rosenzweig, M.D. [and incorporating by reference Ethicon's brief from Wave 3 [Doc. 2818]], #26 5482-RESPONSE Memorandum in Opposition to Defendants' Motion to Exclude Certain General Opinions of Bruce Rosenzweig, M.D., #27 5548-REPLY Brief in Support of Defendants' Motion to Exclude Certain General Opinions of Bruce Rosenzweig, M.D., #28 6852-NOTICE of Adoption of Prior Daubert Motion to Exclude Certain General Opinions of Bruce Rosenzweig, M.D. Wave 8 5332 , 5333 , 5548 , #29 6960-NOTICE of Adoption of Prior Daubert Response of Bruce Rosenzweig, M.D. for Wave 8)(Balefsky, Lee) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 34 CONTINUED DESIGNATION OF RECORD for MDL transfers re: 2:12-md-02327 - Ethicon, Inc. (Attachments: #1 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 18, #2 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 19, #3 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 20, #4 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 21, #5 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 22, #6 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 23, #7 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 24, #8 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 25, #9 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 26, #10 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 27, #11 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 28, #12 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 29, #13 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 30, #14 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 31, #15 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 32, #16 3790- RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 33, #17 6882-Plaintiff's Motion to Exclude Certain Opinions and Testimony of Dorothy Kammerer-Doak, MD, #18 6885- Memorandum in Support of Plaintiffs' Motion to Exclude Certain Opinions and Testimony of Dorothy Kammerer-Doak, M.D., #19 7029- Defendants' Response to Plaintiffs' Motion to Exclude Certain Opinions and Testimony of Dorothy Kammerer-Doak, M.D., #20 2076-Plaintiffs' Daubert Motion to Exclude or to Limit the Opinions and Testimony of Teri A. Longacre, M.D., #21 2098-Plaintiffs' Memorandum of Law in Support of Their Daubert Motion to Exclude or to Limit the Opinions and Testimony of Teri A. Longacre, M.D., #22 2140-Response in Opposition to Plaintiffs' Motion to Exclude or to Limit the Opinions and Testimony of Teri A. Longacre, M.D., #23 2253-Plaintiffs' Memorandum of Law in Support of Their Daubert Motion to Exclude or to Limit the Opinions and Testimony of Teri A. Longacre, M.D., #24 6820-Notice of Adoption of Prior Daubert Motion (2076), (2098) of Teri Longacre, M.D. for Wave 8, #25 6969-Notice of Adoption of Prior Daubert Response (2140) Regarding Teri A. Longacre, M.D. for Wave 8, #26 7099-Notice of Adoption of Prior Daubert Reply (2253) of Teri Longacre, M.D. for Wave 8, #27 3614-Plaintiffs' Daubert Motion to Preclude or, in the Alternative, to Limit the Opinions and Testimony of Olga Ramm, M.D., #28 3616-Plaintiffs' Memorandum of Law in Support of Daubert Motion to Preclude or, in the Alternative, to Limit the Opinions and Testimony of Olga Ramm, M.D., #29 3750-Memorandum in Opposition to Plaintiffs' Motion to Preclude or, in the Alternative, to Limit the Opinions and Testimony of Olga Ramm, M.D., #30 3849-Plaintiffs' Reply in Further Support of Daubert Motion to Preclude or, in the Alternative, to Limit the Opinions and Testimony of Olga Ramm, M.D., #31 6831-Notice of Adoption of Prior Daubert Motion (3614), (3616) of Olga Ramm, M.D. for Wave 8, #32 7016-Notice of Adoption of Prior Daubert Response (3750) in Opposition for Olga Ramm, M.D. for Wave 8, #33 3865-Defendants' Reply in Support of Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D, #34 6874-MOTION by Ethicon, Inc., Johnson & Johnson to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev [and incorporating by reference Motion [Dkt # 3619] and Memorandum [Dkt # 3621]. pt 1, #35 6874-MOTION by Ethicon, Inc., Johnson & Johnson to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev [and incorporating by reference Motion [Dkt # 3619] and Memorandum [Dkt # 3621]. pt 2, #36 6874-MOTION by Ethicon, Inc., Johnson & Johnson to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev [and incorporating by reference Motion [Dkt # 3619] and Memorandum [Dkt # 3621]. pt 3, #37 6874-MOTION by Ethicon, Inc., Johnson & Johnson to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev [and incorporating by reference Motion [Dkt # 3619] and Memorandum [Dkt # 3621]. pt 4, #38 6874-MOTION by Ethicon, Inc., Johnson & Johnson to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev [and incorporating by reference Motion [Dkt # 3619] and Memorandum [Dkt # 3621]. pt 5, #39 6874-MOTION by Ethicon, Inc., Johnson & Johnson to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev [and incorporating by reference Motion [Dkt # 3619] and Memorandum [Dkt # 3621]. pt 6, #40 6874-MOTION by Ethicon, Inc., Johnson & Johnson to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev [and incorporating by reference Motion [Dkt # 3619] and Memorandum [Dkt # 3621]. pt 7, #41 6874-MOTION by Ethicon, Inc., Johnson & Johnson to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev [and incorporating by reference Motion [Dkt # 3619] and Memorandum [Dkt # 3621]. pt 8, #42 6874-MOTION by Ethicon, Inc., Johnson & Johnson to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev [and incorporating by reference Motion [Dkt # 3619] and Memorandum [Dkt # 3621]. pt 9, #43 6874-MOTION by Ethicon, Inc., Johnson & Johnson to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev [and incorporating by reference Motion [Dkt # 3619] and Memorandum [Dkt # 3621]. pt 10, #44 7106-Notice of Adoption of Prior Daubert Reply (3849) of Olga Ramm, M.D., #45 6875-MEMORANDUM in Support of Motion to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev, #46 7038-NOTICE of Adoption of Prior Daubert Response and Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Dr. Iakovlev in Wave 8 by Certain Plaintiffs (3790), #47 7045-Plaintiffs' Opposition to Defendants' Motion to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev, #48 7085-Plaintiffs' Amended Adoption of Prior Daubert Response and Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev for Wave 8, #49 7183-Reply in Further Support of Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D.)(Balefsky, Lee) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 33 DESIGNATION OF RECORD for MDL transfers re: 2:12-md-02327 - Ethicon, Inc. (Attachments: #1 238-First Amended Master Long Form Complaint and Jury Demand, #2 239-Master Answer and Jury Demand of Defendant Ethicon, Inc. to First Amended Master Complaint, #3 240-Master Answer and Jury Demand of Defendant Ethicon LLC to First Amended Master Complaint, #4 241-Master Answer and Jury Demand of Defendant Johnson & Johnson to First Amended Master Complaint, #5 262-Short Form Complaint, #6 263-Amended Short Form Complaint, #7 2039- Plaintiffs' Motion to Exclude the Opinions and Testimony of Shelby Thames, #8 2042- Memorandum in Support of Plaintiffs' Motion to Exclude the Opinions and Testimony of Shelby Thames, #9 2187-Response in Opposition to Plaintiffs' Exclude the Opinions and Testimony of Dr. Shelby Thames, Ph.D, #10 2247- Reply in Support of Plaintiffs' Motion to Exclude the Opinions of Dr. Shelby Thames, #11 2455-Plaintiffs' Motion to Exclude the Opinions and Testimony of Shelby Thames, #12 2458-Memorandum in Support of Plaintiffs' Motion to Exclude Certain Opinions of Dr. Shelby Thames, #13 2553- Response in Opposition to Plaintiffs' Exclude the Opinions and Testimony of Dr. Shelby Thames, Ph.D., #14 2621-Reply in Support of Plaintiffs' Motion to Exclude the Opinions of Dr. Shelby Thames, #15 2839-Plaintiffs' Daubert Motion to Exclude of Limit the Opinions and Testimony of Dr. Shelby Thames, #16 2841- Memorandum of Law in Support of Plaintiffs' Daubert Motion to Exclude of Limit the Opinions and Testimony of Dr. Shelby Thames, #17 2957-Response in Opposition to Plaintiffs' Motion to Exclude or Limit the Opinions and Testimony of Dr. Shelby Thames, #18 3037-Reply in Support of Plaintiffs' Motion to Exclude the Opinions of Dr. Shelby Thames, #19 6857-Notice of Adoption of Prior Daubert Motion (2039), (2042), (2455), (2458), (2839), (2841) of Shelby Thames for Wave 8, #20 6972-Notice of Adoption of Prior Daubert Response (2187), (2553), (2957) of Shelby Thames for Wave 8, #21 7113-Notice of Adoption of Prior Daubert Reply (2247), (2621), (3037) of Dr. Shelby Thames, #22 2060-Plaintiffs' Daubert Motion to Exclude the Opinions of FDA Expert Timothy Ulatowski, #23 2065-Plaintiffs' Memorandum in Support of Their Daubert Motion to Exclude the Opinions of FDA Expert Timothy Ulatowski, #24 2134- Response in Opposition to Motion to Exclude Timothy Ulatowski, #25 2232-Plaintiffs' Reply in Support of Their Daubert Motion to 5/16/2016 5 Exclude FDA Expert Timothy Ulatowski, #26 2910-Supplemental Response and Notice of Adoption of Prior Daubert Response Regarding Timothy Ulatowski for Wave 3, #27 6860-Notice of Adoption of Prior Daubert Motion (2060), (2065) of Timothy Ulatowski, M.D. for Wave 8, #28 6965-Notice of Adoption of Prior Daubert Response (2910), (2134) Regarding Timothy Ulatowski for Wave 8, #29 7143-Notice of Adoption of Prior Daubert Reply (2232) of Timothy Ulatowski, M.D. for Wave 8, #30 6319- MOTION to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev pt 1, #31 6319- MOTION to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev pt 2, #32 6319- MOTION to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev pt 3, #33 6319- MOTION to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev pt 4, #34 3621-MEMORANDUM of Law in Support of Motion to Exclude the Opinions and Testimony of Dr. Vladimir Iakovlev, #35 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 1, #36 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 2, #37 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 3, #38 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 4, #39 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 5, #40 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 6, #41 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 7, #42 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 8, #43 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 9, #44 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 10, #45 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 11, #46 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 12, #47 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 13, #48 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 14, #49 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 15, #50 RESPONSE in Opposition to Defendant Ethicon's Motion to Exclude the Opinions and Testimony of Vladimir Iakovlev, M.D. pt 16)(Balefsky, Lee) [Transferred from West Virginia Southern on 10/31/2019.] |
|
Filing 31 RESPONSE TO ORDER TO SHOW CAUSE by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson (Attachments: #1 Exhibit 1 - List of Cases, #2 Exhibit 2 - Letter)(Gage, William) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 30 RESPONSE TO ORDER TO SHOW CAUSE by Cynthia Close, Terrance Close (Balefsky, Lee) [Transferred from West Virginia Southern on 10/31/2019.] |
|
|
Filing 27 OPPOSITION by Cynthia Close, Terrance Close to #22 MOTION by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson for Partial Summary Judgment (Attachment: #1 Proposed Order)(Balefsky, Lee) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 26 NOTICE OF VIDEO DEPOSITIONS OF FRIENDS AND FAMILY by Ethicon, Inc., Johnson & Johnson of Sonya Watts, Jeannie Bartholomew on dates and at times to be determined. (Modak-Truran, Anita) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 25 NOTICE OF VIDEO DEPOSITIONS OF FRIENDS AND FAMILY by Ethicon, Inc., Johnson & Johnson of Sonya Watts, Jeannie Bartholomew on dates and at times to be determined. (Modak-Truran, Anita) [Transferred from West Virginia Southern on 10/31/2019.] |
|
Filing 23 MEMORANDUM OF LAW by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson in support of #22 MOTION by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson for Partial Summary Judgment (Gage, William) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 22 MOTION by Ethicon, Inc., Ethicon, LLC, Johnson & Johnson for Partial Summary Judgment (Attachments: #1 Exhibit A, #2 Exhibit B)(Gage, William) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 21 CERTIFICATE OF SERVICE by Ethicon, Inc., Johnson & Johnson for Designation and Disclosure of General and Case Specific Expert Witnesses and Defendant's Non-Retained Expert Disclosures. (Gage, William) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 20 NOTICE OF ATTORNEY APPEARANCE AND COUNSEL CONTACT INFORMATION FORM by Jeffrey Royal Johnson on behalf of Ethicon, Inc., Johnson & Johnson. (Johnson, Jeffrey) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 19 NOTICE of Filing Subpoena by Ethicon, Inc., Johnson & Johnson re: #18 Amended Notice of Video Deposition. (Attachments: #1 Appendix Schedule A, #2 Appendix Deposition Protocol)(Modak-Truran, Anita) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 18 AMENDED NOTICE OF VIDEO DEPOSITION by Ethicon, Inc., Johnson & Johnson of Michael Maddox, M.D. on 7/9/2018 at 1:00 p.m. (Attachment: #1 PTO #38)(Modak-Truran, Anita) [Transferred from West Virginia Southern on 10/31/2019.] |
|
Filing 16 CERTIFICATE OF SERVICE by Cynthia Close, Terrance Close for Designation and Disclosure of General and Case-Specific Expert Witnesses. (Balefsky, Lee) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 15 CERTIFICATE OF SERVICE by Ethicon, Inc., Johnson & Johnson for First Set of Interrogatories, Requests for Admission and Requests for Production. (Modak-Truran, Anita) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 14 AMENDED NOTICE OF VIDEO DEPOSITION by Ethicon, Inc., Johnson & Johnson of Cynthia Close on April 26, 2018 at 9:00 a.m. (Modak-Truran, Anita) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 13 NOTICE OF VIDEO DEPOSITION by Ethicon, Inc., Johnson & Johnson of Cynthia Close on April 26, 2018 at 9:00 a.m. (Modak-Truran, Anita) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 12 NOTICE OF ATTORNEY APPEARANCE AND COUNSEL CONTACT INFORMATION FORM by Eileen Marie Somers on behalf of Ethicon, Inc., Ethicon, LLC, Johnson & Johnson. (Somers, Eileen) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 11 NOTICE OF ATTORNEY APPEARANCE AND COUNSEL CONTACT INFORMATION FORM by Anita Modak-Truran on behalf of Ethicon, Inc., Johnson & Johnson. (Modak-Truran, Anita) [Transferred from West Virginia Southern on 10/31/2019.] |
|
Filing 9 NOTICE OF VIDEO DEPOSITION by Ethicon, Inc., Johnson & Johnson of Dr. Michael Maddox on 5/17/18 at 9:00 a.m. (Jones, Alyson) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 8 PLAINTIFF PROFILE FORM filed by Cynthia Close, Terrance Close. (Gomez, Christopher) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 7 NOTICE OF ATTORNEY APPEARANCE AND COUNSEL CONTACT INFORMATION FORM by Kari L. Sutherland on behalf of Ethicon, Inc., Johnson & Johnson. (Sutherland, Kari) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 6 NOTICE OF ATTORNEY APPEARANCE AND COUNSEL CONTACT INFORMATION FORM by William M. Gage for Christy Jones on behalf of Ethicon, Inc., Johnson & Johnson. (Gage, William) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 5 NOTICE OF ATTORNEY APPEARANCE AND COUNSEL CONTACT INFORMATION FORM by Christy D. Jones on behalf of Ethicon, Inc., Johnson & Johnson. (Jones, Christy) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 4 NOTICE OF ATTORNEY APPEARANCE AND COUNSEL CONTACT INFORMATION FORM by David B. Thomas on behalf of Ethicon, Inc., Ethicon, LLC, Johnson & Johnson. (Thomas, David) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 3 TRANSMITTED PRETRIAL ORDER # 41 (Defendant Fact Sheet) entered on 03/15/2013 in MDL 2327 to attorneys in member case. (Attachment: #1 Defendant's Fact Sheet) (jap) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 2 ELECTRONIC SUMMONS ISSUED as to Johnson & Johnson, Ethicon, LLC, and Ethicon, Inc., re: #1 Complaint. Summons returnable 21 days. Instructions to Counsel: This is your electronic summons. Please print as many copies of the Summons and Complaint as are necessary to effectuate service under Fed. R. Civ. P. 4. See Proof of Service page of this Summons form for filing a return of service if required by Fed. R. Civ. P. 4(l). (jap) [Transferred from West Virginia Southern on 10/31/2019.] |
Filing 1 SHORT FORM COMPLAINT. Filing Fee $350.00. Receipt # 0425-2297688. (Attachment: #1 Civil Cover Sheet) (jap) [Transferred from West Virginia Southern on 10/31/2019.] |
Access additional case information on PACER
Use the links below to access additional information about this case on the US Court's PACER system. A subscription to PACER is required.
Access this case on the Colorado District Court's Electronic Court Filings (ECF) System
- Search for Party Aliases
- Associated Cases
- Attorneys
- Case File Location
- Case Summary
- Docket Report
- History/Documents
- Parties
- Related Transactions
- Check Status
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.