LAR MEXICO BEACH LLC v. FRONTLINE INSURANCE UNLIMITED COMPANY
Lar Mexico Beach, LLC d/b/a Gulf Foods and LAR MEXICO BEACH LLC doing business as GULF FOODS |
Frontline Protective Insurance Company d/b/a Frontline Insurance and FRONTLINE INSURANCE UNLIMITED COMPANY |
5:2021cv00101 |
May 13, 2021 |
US District Court for the Northern District of Florida |
MICHAEL J FRANK |
MARK E WALKER |
Insurance |
28 U.S.C. § 1332 |
Plaintiff |
Docket Report
This docket was last retrieved on July 1, 2021. A more recent docket listing may be available from PACER.
Document Text |
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Filing 15 SCHEDULING AND MEDIATION ORDER Re: #12 Report of Rule 26(f) Planning Meeting. The jury trial is set for the trial period that begins on Monday, 4/18/2022. The discovery deadline is extended to 11/1/2021. :(Dispositive Motions to be filed by 11/22/2021., Mediation Report due by 12/13/2021.), Case referred to mediation. Signed by CHIEF JUDGE MARK E WALKER on 7/1/2021. (jcw) |
ACTION REQUIRED BY DISTRICT JUDGE: Chambers of CHIEF JUDGE MARK E WALKER notified that action is needed Re: #12 Report of Rule 26(f) Planning Meeting (jcw) |
Filing 14 RULE 26 Disclosures by FRONTLINE INSURANCE UNLIMITED COMPANY. (SIMS, MELISSA) |
Filing 13 RULE 26 Disclosures by LAR MEXICO BEACH LLC. (KEEGAN, MARK) |
Filing 12 REPORT of Rule 26(f) Planning Meeting. (Attachments: #1 Exhibit A - Proposed Scheduling Order) (KEEGAN, MARK) |
Set Deadlines/Hearings Status Report due by 7/16/2021. (jcw) |
Filing 11 STATUS REPORT JOINT STATUS REPORT by LAR MEXICO BEACH LLC. (KEEGAN, MARK) |
Filing 10 Corporate Disclosure Statement/Certificate of Interested Persons by LAR MEXICO BEACH LLC identifying Corporate Parent Lar Mexico Beach LLC d/b/a Gulf Foods, Other Affiliate Mark G. Keegan, Other Affiliate Lance Godwin, Other Affiliate Allison Godwin for LAR MEXICO BEACH LLC.. (KEEGAN, MARK) |
Filing 9 Corporate Disclosure Statement/Certificate of Interested Persons by FRONTLINE INSURANCE UNLIMITED COMPANY. (SIMS, MELISSA) |
Filing 8 NOTICE of Appearance by MARK GERARD KEEGAN on behalf of LAR MEXICO BEACH LLC (KEEGAN, MARK) |
Filing 7 INITIAL SCHEDULING ORDER - Fed.R.Civ.P. 7.1 Corporate Disclosure Statement Deadline set for 6/1/2021. Rule 26 Meeting Report due by 6/30/2021. Discovery due by 9/14/2021. Status Report due by 6/16/2021. Signed by CHIEF JUDGE MARK E WALKER on 5/17/2021. (jcw) |
Filing 6 Filing fee: $ 402.00, receipt number FLN300014591. Fee status updated to paid. (alb) |
Filing 5 NOTICE REGARDING ADMISSION TO PRACTICE as to JOHN M. SIRACUSA, ESQ. on behalf of LAR MEXICO BEACH LLC. (jcw) |
Filing 4 NOTICE REGARDING ADMISSION TO PRACTICE as to JOSEPH W. JANSSEN, III, ESQ. on behalf of LAR MEXICO BEACH LLC (jcw) |
Filing 3 NOTICE REGARDING ADMISSION TO PRACTICE as to WILLIAM XANTTOPOULOS, ESQ. on behalf of FRONTLINE INSURANCE UNLIMITED COMPANY (jcw) |
Filing 2 DOCKET ANNOTATION BY COURT: Re #1 Notice of Removal. The parties in the above-referenced case were added to the docket incorrectly and will be corrected by the clerk. Party names are to be entered in all caps and without punctuation. For future reference: Please review the procedure for adding/creating new parties in the "Style Guide for Electronic Case Filing" and/or chapter 10 of the "CM/ECF Attorney User's Guide," available at www.flnd.uscourts.gov. (jcw) |
Filing 1 NOTICE OF REMOVAL by Frontline Protective Insurance Company d/b/a Frontline Insurance (Filing fee $402.), filed by Frontline Protective Insurance Company d/b/a Frontline Insurance. (Attachments: #1 Exhibit 1. Declaration of Courtney Holland In Support of Defendant's Notice of Removal of Civil Action, #2 Exhibit 2. Articles Of Incorporation, #3 Exhibit 3. EUO Transcript of Lance Godwin, #4 Exhibit 4. Proof of Sale of Florida Home, #5 Exhibit 5. Record of Ownership of Georgia Home, #6 Exhibit 6. State Civil Cover Sheet, #7 Exhibit 7. Complaint, #8 Exhibit 8. Return of Service on Frontline Insurance, #9 Exhibit 9. Affidavit of Joseph W. Janssen, Esq., #10 Exhibit 10. Alias Summons Issued, #11 Exhibit 11. Defendant's Notice of Appearance, #12 Exhibit 12. Defendant's Motion for Enlargement of Time to Respond to Pls Complaint, #13 Exhibit 13. Executed Agreed Order on Def's Motion for Enlargement of Time to Respond to Complaint, #14 Exhibit 14. Defendant's 2d Motion for Enlargement of Time to Respond to Pls Complaint, #15 Exhibit 15. Defendant's Answer and Affirmative Defenses to Plaintiff's Complaint, #16 Exhibit 16. Amended Complaint, #17 Exhibit 17. Defendant's Answer & Affirmative Defenses to Amended Complaint, #18 Exhibit 18. Plaintiff's Notice to Set Cause for Jury Trial, #19 Exhibit 19. Plaintiff's 1st Request for Production, #20 Exhibit 20. Uniform Order Setting Cause for Trial, #21 Exhibit 21. Defendant's Motion for Enlargement of Time to Respond to Request for Production, #22 Exhibit 22. Defendant's Second Motion for Enlargement of Time to Respond to Request for Production, #23 Exhibit 23. Defendant's Third Motion for Enlargement of Time to Respond to Request for Production, #24 Exhibit 24. Defendant's 1st set of Interrogatories, #25 Exhibit 25. Defendant's Responses to Plaintiff's Request for Production, #26 Exhibit 26. Plaintiff's Notice of Serving Its Answers to Defendant's First Set of Interrogatories, #27 Civil Cover Sheet Federal Civil Cover Sheet) (SIMS, MELISSA) |
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