Montemerlo et al v. Kaiser Foundation Health Plan, Inc
Leonard Montemerlo and Mary M. Montemerlo |
Kaiser Foundation Health Plan, Inc |
3:2009cv00599 |
April 14, 2009 |
US District Court for the District of Connecticut |
Civil Rights: Jobs Office |
Hartford |
Mark R Kravitz |
Civil Rights: Jobs |
28 U.S.C. § 1331 |
Plaintiff |
Docket Report
This docket was last retrieved on May 20, 2010. A more recent docket listing may be available from PACER.
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Filing 36 Joint MOTION to Withdraw Stipulation of Dismissal with Prejudice by Leonard Montemerlo, Mary M. Montemerlo. (Rosenblatt, Leon) |
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JUDICIAL PROCEEDINGS SURVEY: The following link to the survey requires you to log into CM/ECF for SECURITY purposes. Once in CM/ECF you will be prompted for the case number. Upon entering the survey, all responses are completely anonymous.https://ecf.ctd.uscourts.gov/cgi-bin/Dispatch.pl?survey (Ghilardi, K.) |
Filing 34 Joint STATUS REPORT as of February 19, 2010 by Kaiser Foundation Health Plan, Inc. (Fretel, Christopher) |
Set Deadlines: Discovery due by 2/12/2010; Dispositive Motions due by 3/13/2010; Joint Status Report due by 2/19/2010; Joint Trial Brief due by 4/13/2010; Trial Ready Date 4/13/2010 Telephone Status Conference set for 2/26/2010 8:45 AM before Judge Mark R. Kravitz (Ghilardi, K.) |
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Filing 32 Joint MOTION for Extension of Time until 2/12/10 to Complete Discovery by Kaiser Foundation Health Plan, Inc.AND ALL PLAINTIFFS (Fretel, Christopher) FILERS Modified on 1/8/2010 (Bauer, J.). |
Set Deadlines: Discovery due by 1/13/2010; Dispositive Motions due by 2/14/2010; Joint Status Report due by 1/20/2010; Joint Trial Brief due by 3/14/2010; Trial Ready Date 3/14/2010 Telephone Status Conference set for 1/27/2010 8:45 AM before Judge Mark R. Kravitz (Ghilardi, K.) |
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Filing 30 RESPONSE re #29 Joint MOTION for Extension of Time until January 13, 2010 to Complete Discovery filed by Kaiser Foundation Health Plan, Inc. (Fretel, Christopher) |
Filing 29 Joint MOTION for Extension of Time until January 13, 2010 to Complete Discovery by Leonard Montemerlo, Mary M. Montemerlo. (Rosenblatt, Leon) |
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Filing 27 MOTION for Extension of Time until 11/27/09 without Opposition for Kaiser to respond to Plaintiffs' 9/23/09 discovery demands by Kaiser Foundation Health Plan, Inc. (Fretel, Christopher) |
Filing 26 ANSWER to #21 Amended Complaint with Affirmative Defenses. by Kaiser Foundation Health Plan, Inc.(Fretel, Christopher) |
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Filing 24 MOTION for Extension of Time until 8/18/09 File an Amended Complaint, Nunc Pro Tunc #21 Amended Complaint by Leonard Montemerlo, Mary M. Montemerlo. (Rosenblatt, Leon) |
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Filing 22 MOTION for Extension of Time until September 25, 2009 Respond to Defendant's First Set of Interrogatories and Requests for Production of Documents by Leonard Montemerlo, Mary M. Montemerlo. (Rosenblatt, Leon) |
Filing 21 AMENDED COMPLAINT against Kaiser Foundation Health Plan, Inc, filed by Leonard Montemerlo, Mary M. Montemerlo.(Rosenblatt, Leon) |
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Filing 19 Minute Entry for proceedings held before Judge Mark R. Kravitz: Telephone Scheduling Conference held on 7/27/2009. 10 minutes (Ghilardi, K.) |
Filing 18 NOTICE OF E-FILED CALENDAR: THIS IS THE ONLY NOTICE COUNSEL/THE PARTIES WILL RECEIVE. Telephonic Scheduling Conference reset for 7/27/2009 at 08:30 AM before Judge Mark R. Kravitz. Plaintiff's attorney will initiate the telephone conference call. After all of the parties are on the conference call, they should then call chambers at (203) 773-2022 on the above date and time. (Carotenuto, R.) |
Filing 17 NOTICE OF E-FILED CALENDAR: THIS IS THE ONLY NOTICE COUNSEL/THE PARTIES WILL RECEIVE. NOTE NEW DATE/TIME. Telephonic Scheduling Conference RESET for 7/23/2009 at 08:15 AM before Judge Mark R. Kravitz. See previous calendar for instructions. (Carotenuto, R.) |
Filing 16 NOTICE OF E-FILED CALENDAR: THIS IS THE ONLY NOTICE COUNSEL/THE PARTIES WILL RECEIVE. Telephonic Scheduling Conference set for 7/20/2009 at 08:30 AM before Judge Mark R. Kravitz. Plaintiffs' attorney will initiate the telephone conference call. After all of the parties are on the conference call, they should then call chambers at (203) 773-2022 on the above date and time. Counsel are ordered by the court to be prepared to discuss the merits of all pending motions. Please Note that the parties should commence discovery immediately in accordance with the discovery plan set forth in their 26(f) Report and they should not delay discovery pending the conference scheduled herein or entry of a scheduling order. (Carotenuto, R.) |
Filing 15 REPORT of Rule 26(f) Planning Meeting. (Fretel, Christopher) |
Filing 14 26(f) NOTICE : The Court has reviewed the file in this case to monitor the parties compliance with Local Rule 26(e). Local Rule 26(e) provides that, within 30 days after the appearance of any defendant, the attorneys of record and any unrepresented parties must confer for purposes described in Fed. R. Civ. P. 26(f). Local Rule 26(e) further provides that, within 10 days after the conference, the participants must jointly file a report of the conference using Form 26(f). It appears that more than forty days have passed since the appearance of a defendant in this case but no report has been filed. Accordingly, it is hereby ordered that the parties must file on or before July 7, 2009: (1) a written statement signed by all counsel of record demonstrating that this case is exempt from the requirement of filing a form 26f report; or (2) a form 26f report along with a written statement signed by all counsel of record explaining why sanctions should not be imposed for the parties failure to comply with Local Rule 26(e). Failure to comply with this order will result in dismissal of the complaint. Signed by Clerk on 6/23/2009. (Ghilardi, K.) |
Set Deadlines: Rule 26 Meeting Report due by 7/7/2009 (Ghilardi, K.) |
Filing 13 Amended ANSWER to #1 Complaint with Affirmative Defenses by Kaiser Foundation Health Plan, Inc.(Fretel, Christopher) |
Filing 12 Corporate Disclosure Statement by Kaiser Foundation Health Plan, Inc. (Fretel, Christopher) |
Filing 11 ANSWER to #1 Complaint with Affirmative Defenses by Kaiser Foundation Health Plan, Inc.(Fretel, Christopher) |
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Answer deadline updated for Kaiser Foundation Health Plan, Inc to 6/1/2009. (Ghilardi, K.) |
Filing 9 MOTION for Extension of Time until June 1, 2009 for defendant to respond to complaint by Kaiser Foundation Health Plan, Inc. (Fretel, Christopher) |
Filing 8 NOTICE of Appearance by William G. Ballaine on behalf of Kaiser Foundation Health Plan, Inc (Ballaine, William) |
Filing 7 NOTICE of Appearance by Christopher G. Fretel on behalf of Kaiser Foundation Health Plan, Inc (Fretel, Christopher) |
Filing 6 SUMMONS Returned Executed by Leonard Montemerlo, Mary M. Montemerlo. Kaiser Foundation Health Plan, Inc served on 4/20/2009, answer due 5/10/2009. (Rosenblatt, Leon) |
Filing 5 NOTICE of Appearance by Leon M. Rosenblatt on behalf of Leonard Montemerlo, Mary M. Montemerlo (Grady, B.) |
Filing 4 NOTICE of Appearance by Lynn M. Mahoney on behalf of Leonard Montemerlo, Mary M. Montemerlo (Grady, B.) |
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Filing 1 COMPLAINT against Kaiser Foundation Health Plan, Inc ( Filing fee $ 350 receipt number H028035) filed by Leonard Montemerlo, Mary M. Montemerlo.(Grady, B.) |
Summons Issued as to Kaiser Foundation Health Plan, Inc. (Grady, B.) |
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