Robinson et al v. McNeil Consumer Healthcare et al
Karen Robinson and Jonathon Robinson |
McNeil Consumer Healthcare and Johnson & Johnson |
1:2007cv05603 |
October 3, 2007 |
US District Court for the Northern District of Illinois |
Chicago Office |
Cook |
James F Holderman |
Personal Inj. Prod. Liability |
28 U.S.C. § 1441 Petition for Removal- Product Liability |
Both |
Docket Report
This docket was last retrieved on May 3, 2011. A more recent docket listing may be available from PACER.
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Filing 491 TRANSCRIPT OF PROCEEDINGS held on 10/8/2008 before the Honorable Susan E. Cox. Court Reporter Contact Information: ALEXANDRA ROTH, (312)408-5038, alexandra_roth@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 5/24/2011. Redacted Transcript Deadline set for 6/3/2011. Release of Transcript Restriction set for 8/1/2011. (Roth, Alexandra) |
Filing 490 TRANSCRIPT OF PROCEEDINGS held on 11/12/2008 before the Honorable Susan E. Cox. Court Reporter Contact Information: ALEXANDRA ROTH, (312)408-5038, alexandra_roth@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 5/24/2011. Redacted Transcript Deadline set for 6/3/2011. Release of Transcript Restriction set for 8/1/2011. (Roth, Alexandra) |
Filing 489 NOTICE of Removal of Material from the custody of the Clerk's Office Pursuant to Local Rule 79.1.(nf, ) |
Filing 488 MINUTE entry before Honorable James F. Holderman: Counsel has failed to comply with the Clerks Notice of Exhibit Disposal Local Rule 79.1. The Clerk of Court is hereby given authority to destroy exhibits 466 on or after 1/21/2011, if they are not retrieved by the close of business 1/20/2011. Exhibits may be retrieved by calling the Clerk's office at (312)408-5136. Mailed notice (nf, ) |
Filing 487 MINUTE entry before Honorable James F. Holderman: Status hearing held on 11/4/2010. Defendants waive their costs. Mailed notice (am) |
Filing 485 NOTICE of Exhibit Disposal Pursuant to Local Rule 79.1. The following documents are eligible for removal: Defendant's Counsel: David C Greenstone, Document #: 466. Mailed Notice (jh, ) |
Filing 486 LETTER from the Seventh Circuit returning the record on appeal in USCA no. 09-4011 consisting of one pleading on flash drive and exhibit. (nf, ) |
Filing 484 DEFENDANTS' NOTICE OF WAIVER OF COSTS by Johnson & Johnson, McNeil Consumer Healthcare (Sudzus, David) |
Filing 483 MINUTE entry before Honorable James F. Holderman:The mandate from the Seventh Circuit Court of Appeals having issued, status is set for 11/4/2010 at 9:00 a.m. to report on defendants McNeil Consumer Healthcare and Johnson & Johnson's (collectively "Defendants") bill of costs #442 . The court encourages the parties to attempt to resolve any outstanding disputes related to the defendants' costs. Mailed (vmj, ) |
Filing 482 USCA JUDGMENT dated 8/11/2010 regarding notice of appeal #460 ; USCA No. 09-4011: CERTIFIED copy of Final Judgement: The judgment of the District Court is affirmed, with costs, in accordance with the decision of this court entered on this date. (vmj, ) |
Filing 481 OPINION from the USCA for the 7th Circuit; Argued 6/2/2010; Decided 8/11/2010 in USCA case no. 09-4011 (vmj, ) |
Filing 480 CERTIFIED copy of order dated 9/30/2010 from the USCA - 7th Circuit regarding notice of appeal #460 ; Appellate case no. 09-4011: On 9/8/2010, plaintiffs-appellants filed a petition for rehearing and petition for rehearing en banc. All the judges on the original panel have voted to deny the petition, and none of the active judges has requested a vote on the petition for rehearing en banc. The petition is therefore denied. (vmj, ) |
Filing 479 MANDATE of USCA dated 10/8/2010 regarding notice of appeal #460 ; USCA No. 9-4011 (vmj, ) |
Filing 478 TRANSMITTED to the USCA for the 7th Circuit supplemental record on appeal #460 (USCA no. 09-4011) (dj, ) |
Filing 477 EXHIBIT by Defendant McNeil Consumer Healthcare [DEFENDANT'S EXHIBITS TO SUPPLEMENT RECORD ON APPEAL] regarding notice of motion #471 (Attachments: #1 Exhibit 00055, #2 Exhibit 00065, #3 Exhibit 00114, #4 Exhibit 00117, #5 Exhibit 00254, #6 Exhibit 00297, #7 Exhibit 00299, #8 Exhibit 00339, #9 Exhibit 00341, #10 Exhibit 00343, #11 Exhibit 00381, #12 Exhibit 00397, #13 Exhibit 00409, #14 Exhibit 00429, #15 Exhibit 00444, #16 Exhibit 00450, #17 Exhibit 00468, #18 Exhibit 00669, #19 Exhibit 00670, #20 Exhibit 00671, #21 Exhibit 00716)(Sudzus, David) |
Filing 476 ORDER. Signed by the Honorable James F. Holderman on 1/27/2010: Mailed notice (am) |
Filing 475 MINUTE entry before Honorable James F. Holderman: ENTER ORDER: Defendant's motion for leave to supplement the record on appeal #470 is granted as agreed to by the parties. Status and motion hearing date of 1/28/2010 is stricken. Mailed notice (am) |
Filing 474 MINUTE entry before Honorable James F. Holderman: Defendants McNeil Consumer Healthcare and Johnson & Johnson's "Itemization of Defendants' Cost Bill" #442 is stayed pending the resolution of plaintiff Karen Robinson's appeal (Case No. 09-4011). Mailed notice (am) |
Filing 473 ORDER dated 1/22/2010 from the 7th Circuit regarding notice of appeal #460 ; Appellate case no.: 09-4011; This Court has received doc. 302, 303, 304, 308, 314, 419 under seal from the district court. All documents filed in this Court, except those required to be sealed by statute or rule are considered public. Pursuant to 7th Circuit Operating Procedure 10(b), documents sealed in the district court will be maintained under seal in this Court for fourteen (14) days, to afford time to request the approval required by section (a) of this operating procedure. Absent a motion from a party these sealed documents will be placed in the public record on 02/08/2010. (jj, ) |
Filing 472 MINUTE entry before Honorable James F. Holderman: DEFENDANT'S MOTION FOR LEAVE TO SUPPLEMENT THE RECORD ON APPEAL #470 is entered and continued to 1/28/2010 at 9:00 AM. On defendant's motion for leave to supplement the record on appeal #470 , plaintiff is given until 1/26/2010 to file any objections. Status hearing set for 1/28/2010 at 9:00 AM. Mailed notice (am) |
Filing 471 NOTICE of Motion by David B. Sudzus for presentment of motion for leave to appeal #470 before Honorable James F. Holderman on 1/19/2010 at 09:00 AM. (Sudzus, David) |
Filing 470 MOTION by Defendant McNeil Consumer Healthcare for leave to appeal [DEFENDANT'S MOTION FOR LEAVE TO SUPPLEMENT THE RECORD ON APPEAL] (Sudzus, David) |
Filing 469 USCA RECEIVED on 1/5/10 the long record regarding notice of appeal #460 (dj,). |
Filing 468 TRANSMITTED to the USCA for the 7th Circuit the long record on appeal #460 (USCA no. 09-4011) (dj, ) |
Filing 467 SEVENTH CIRCUIT transcript information sheet by Jonathon Robinson, Karen Robinson. (ep, ) |
Filing 466 TRIAL EXHIBITS by Plaintiffs Jonathon Robinson, Karen Robinson. (Document not Scanned). (jj, ) |
Filing 465 Seventh Circuit Transcript Information Sheet by Jonathon Robinson, Karen Robinson (Greenstone, David) |
Filing 464 ACKNOWLEDGEMENT of receipt of short record on appeal regarding notice of appeal #460 ; USCA Case No. 09-4011. (rp, ) |
Filing 463 TRANSMITTED to the 7th Circuit the short record on notice of appeal #460 . Notified counsel (dj, ) |
Filing 462 NOTICE of Appeal Due letter sent to counsel of record (dj, ) |
Filing 461 DOCKETING Statement by Karen Robinson, Jonathon Robinson regarding notice of appeal #460 (Greenstone, David) |
Filing 460 NOTICE of appeal by Karen Robinson, Jonathon Robinson regarding orders #421 Filing fee $ 455, receipt number 07520000000004354597. (Greenstone, David) |
Filing 459 REPLY by Defendants Johnson & Johnson, McNeil Consumer Healthcare to memorandum #443 [REPLY MEMORANDUM IN SUPPORT OF DEFENDANTS' COST BILL] (Sudzus, David) |
Filing 458 TRANSCRIPT OF PROCEEDINGS held on 08/19/09 before the Honorable James F. Holderman. Pretrial/Jury Selection, Pages 1-150. Court Reporter Contact Information: Colleen Conway@312.435.5594 or colleen_conway@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 12/10/2009. Redacted Transcript Deadline set for 12/21/2009. Release of Transcript Restriction set for 2/17/2010. (Conway, Colleen) |
Filing 457 MINUTE entry before the Honorable James F. Holderman: The court requests that defendants McNeil Consumer Healthcare and Johnson & Johnson (collectively "Defendants") file a reply to their "Itemization of Defendants' Cost Bill" #442 by December 4, 2009. Mailed notice (am) |
Filing 456 Memorandum Opinion and Order. Signed by the Honorable James F. Holderman on 11/16/2009: Mailed notice (am) |
Filing 455 MINUTE entry before the Honorable James F. Holderman: Robinson's "Renewed Motion for Judgment as a Matter of Law, Motion to Amend the Judgment, and Motion for New Trial" #424 is denied. Defendants' "Conditional Renewal of Rule 50(a) Motion for Judgment as Matter of Law Pursuant to Rule 50(b) After Trial" #422 , which it renewed in the event the court set aside the jury verdict entered in its favor is denied as moot. Mailed notice (am) |
Filing 454 REPLY by Plaintiffs Karen Robinson, Jonathon Robinson to motion for new trial, motion to amend/correct, motion for relief,,, #450 [PLAINTIFF'S FINAL REPLY IN SUPPORT OF PLAINTIFF'S RENEWED MOTION FOR JUDGMENT AS A MATTER OF LAW, MOTION TO AMEND THE JUDGMENT, AND MOTION FOR A NEW TRIAL] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C)(Simon, Dana) |
Filing 453 OBJECTIONS by Karen Robinson, Jonathon Robinson to bill of costs #442 (Attachments: #1 Exhibit A, #2 Exhibit B)(Simon, Dana) |
Filing 452 SUR-REPLY by Defendants Johnson & Johnson, McNeil Consumer Healthcare to motion for new trial, motion to amend/correct, motion for relief,,, #450 (Sudzus, David) |
Filing 451 MINUTE entry before the Honorable James F. Holderman: Plaintiffs' motion for leave to file plaintiffs' renewed motion for judgment as a matter of law, motion to amend the judgment and motion for new trial in excess of 15 pages #426 is granted; defendants are given until 10/13/2009 to file sur-reply. Plaintiffs' final reply due by 10/20/2009. Defendants Johnson & Johnson, McNeil Consumer Healthcare's motion for leave to file Response in Opposition to Plaintiff's Renewed Motion for Judgment as a Matter of Law, Motion to Amend Judgment, and Motion for a New Trial in Excess of Fifteen Pages #445 is granted. On defendants' renewed motion for judgment as a matter of law, response due by 10/20/2009; reply due by 10/27/2009. The Court to rule electronically and will set further dates in the ruling, if necessary. Mailed notice (am) |
Filing 450 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for new trial, MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct [PLAINTIFFS' RENEWED MOTION FOR JUDGMENT AS A MATTER OF LAW, MOTION TO AMEND THE JUDGMENT, AND MOTION FOR NEW TRIAL] (Simon, Dana) |
Filing 449 RESPONSE by Johnson & Johnson, McNeil Consumer Healthcarein Opposition to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct order on motion for judgment,, order on motion to withdraw,, terminated case, jury trial - completed,,,,,,,,,,,, #420 , entered judgment #421 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct order on motion for judgment,, order on motion to withdraw,, terminated case, jury trial - completed,,,,,,,,,,,, #420 , entered judgment #421 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for judgmentMOTION by Plaintiffs Karen Robinson, Jonathon Robinson for new trial [PLAINTIFFS RENEWED MOTION FOR JUDGMENT AS A MATTER OF LAW, MOTION TO AMEND THE JUDGMENT, AND MOTION FOR NEW TRIAL]MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for new trial [PLAINTIFFS RENEWED MOTION FOR JUDGMENT AS A MATTER OF LAW, MOTION TO AMEND THE JUDGMENT, AND MOTION FOR NEW TRIAL] #424 (Sudzus, David) |
Filing 448 REPLY by Plaintiffs Karen Robinson, Jonathon Robinson to motion for leave to file, #445 , motion to amend/correct,, motion for judgment,, motion for new trial,, motion for relief,,,,,,,,,,,,, #424 [PLAINTIFFS' REPLY IN SUPPORT OF RENEWED MOTION FOR JUDGMENT AS A MATTER OF LAW, MOTION TO AMEND THE JUDGMENT, AND MOTION FOR NEW TRIAL] (Simon, Dana) |
Filing 447 CERTIFICATE of Service by David B. Sudzus on behalf of Johnson & Johnson, McNeil Consumer Healthcare regarding MOTION by Defendants Johnson & Johnson, McNeil Consumer Healthcare for leave to file Response in Opposition to Plaintiff's Renewed Motion for Judgment as a Matter of Law, Motion to Amend Judgment, and Motion for a New Trial in Excess of Fifteen #445 (Sudzus, David) |
Filing 446 Defendants' NOTICE of Motion by David B. Sudzus for presentment of motion for leave to file, #445 before Honorable James F. Holderman on 10/6/2009 at 09:00 AM. (Sudzus, David) |
Filing 445 MOTION by Defendants Johnson & Johnson, McNeil Consumer Healthcare for leave to file Response in Opposition to Plaintiff's Renewed Motion for Judgment as a Matter of Law, Motion to Amend Judgment, and Motion for a New Trial in Excess of Fifteen Pages (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 444 DECLARATION of DAVID B. SUDZUS regarding bill of costs #442 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit D, #4 Exhibit E, #5 Exhibit F, #6 Exhibit G, #7 Exhibit H, #8 Exhibit C-1, #9 Exhibit C-2, #10 Exhibit C-3, #11 Exhibit C-4, #12 Exhibit C-5, #13 Exhibit C-6, #14 Exhibit C-7, #15 Exhibit C-8, #16 Exhibit C-9)(Sudzus, David) |
Filing 443 MEMORANDUM bill of costs #442 by Johnson & Johnson, McNeil Consumer Healthcare Memorandum in Support of Defendants' Cost Bill (Sudzus, David) |
Filing 442 BILL of Costs [Itemization of Defendants' Cost Bill] (Sudzus, David) |
Filing 441 TRANSCRIPT OF PROCEEDINGS held on 09/01/09 before the Honorable James F. Holderman. Trial-Verdict, Vol.8, Pages 1423-1431. Court Reporter Contact Information: Colleen Conway@312.435.5594 or colleen_conway@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 10/13/2009. Redacted Transcript Deadline set for 10/22/2009. Release of Transcript Restriction set for 12/21/2009. (Conway, Colleen) |
Filing 440 TRANSCRIPT OF PROCEEDINGS held on 09/01/09 before the Honorable James F. Holderman. Trial, Vol.7, Pages 1406-1422. Court Reporter Contact Information: Colleen Conway@312.435.5594 or colleen_conway@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 10/13/2009. Redacted Transcript Deadline set for 10/22/2009. Release of Transcript Restriction set for 12/21/2009. (Conway, Colleen) |
Filing 439 TRANSCRIPT OF PROCEEDINGS held on 08/31/09 before the Honorable James F. Holderman. Trial, Vol.6, Pages 1190-1405. Court Reporter Contact Information: Colleen Conway@312.435.5594 or colleen_conway@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 10/13/2009. Redacted Transcript Deadline set for 10/22/2009. Release of Transcript Restriction set for 12/21/2009. (Conway, Colleen) |
Filing 438 TRANSCRIPT OF PROCEEDINGS held on 08/27/09 before the Honorable James F. Holderman. Trial, Vol.5, Pages 988-1189. Court Reporter Contact Information: Colleen Conway@312.435.5594 or colleen_conway@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 10/13/2009. Redacted Transcript Deadline set for 10/22/2009. Release of Transcript Restriction set for 12/21/2009. (Conway, Colleen) |
Filing 437 TRANSCRIPT OF PROCEEDINGS held on 08/26/09 before the Honorable James F. Holderman. Trial, Vol.4, Pages 684-987. Court Reporter Contact Information: Colleen Conway@ 312.435.5594 or colleen_conway@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 10/13/2009. Redacted Transcript Deadline set for 10/22/2009. Release of Transcript Restriction set for 12/21/2009. (Conway, Colleen) |
Filing 436 TRANSCRIPT OF PROCEEDINGS held on 08/25/09 before the Honorable James F. Holderman. Trial, Vol.3, Pages 357-683. Court Reporter Contact Information: Colleen Conway @ 312.435.5594 or colleen_conway@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 10/13/2009. Redacted Transcript Deadline set for 10/22/2009. Release of Transcript Restriction set for 12/21/2009. (Conway, Colleen) |
Filing 435 TRANSCRIPT OF PROCEEDINGS held on 08/24/09 before the Honorable James F. Holderman. Trial, Vol.2, Pages 50-356. Court Reporter Contact Information: Colleen Conway@ 312.435.5594 or colleen_conway@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 10/13/2009. Redacted Transcript Deadline set for 10/22/2009. Release of Transcript Restriction set for 12/21/2009. (Conway, Colleen) |
Filing 434 TRANSCRIPT OF PROCEEDINGS held on 08/19/09 before the Honorable James F. Holderman. Trial, Vol. 1, Pages 1-49. Court Reporter Contact Information: Colleen Conway @ 312.435.5594 or colleen_conway@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 10/13/2009. Redacted Transcript Deadline set for 10/22/2009. Release of Transcript Restriction set for 12/21/2009. (Conway, Colleen) |
Filing 433 MEMORANDUM by Karen Robinson, Jonathon Robinson in Opposition to motion for judgment not withstanding the verdict #422 [PLAINTIFF'S MEMORANDUM OF LAW IN OPPOSITION TO DEFENDANTS' CONDITIONAL RENEWAL OF RULE 50(a) MOTION FOR JUDGMENT AS A MATTER OF LAW PURSUANT TO RULE 50(b)] (Simon, Dana) |
Filing 432 AMENDED NOTICE of Motion by David B. Sudzus for presentment of motion for judgment not withstanding the verdict #422 before Honorable James F. Holderman on 10/6/2009 at 09:00 AM. (Sudzus, David) |
Filing 431 [PLAINTIFFS' 2nd AMENDED] NOTICE of Motion by Dana C. Simon for presentment of before Honorable James F. Holderman on 10/6/2009 at 09:00 AM. (Simon, Dana) |
Filing 430 [PLAINTIFFS' 2nd AMENDED] NOTICE of Motion by Dana C. Simon for presentment of motion to amend/correct,, motion for judgment,, motion for new trial,, motion for relief,,,,,,,,,,,,, #424 before Honorable James F. Holderman on 10/6/2009 at 09:00 AM. (Simon, Dana) |
Filing 429 [AMENDED NOTICE OF MOTION] NOTICE of Motion by Dana C. Simon for presentment of before Honorable James F. Holderman on 10/1/2009 at 09:00 AM. (Simon, Dana) |
Filing 428 [AMENDED NOTICE OF MOTION] NOTICE of Motion by Dana C. Simon for presentment of motion to amend/correct, motion for judgment, motion for new trial, motion for relief,,,,,,,,,,,,,,,, #424 before Honorable James F. Holderman on 10/1/2009 at 09:00 AM. (Simon, Dana) |
Filing 427 PLAINTIFFS' NOTICE of Motion by Dana C. Simon for presentment of before Honorable James F. Holderman on 9/29/2009 at 09:00 AM. (Simon, Dana) |
Filing 426 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for leave to file excess pages [PLAINTIFFS MOTION FOR LEAVE TO FILE PLAINTIFFS RENEWED MOTION FOR JUDGMENT AS A MATTER OF LAW, MOTION TO AMEND THE JUDGMENT, AND MOTION FOR NEW TRIAL IN EXCESS OF 15 PAGES] (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 425 PLAINTIFFS' NOTICE of Motion by Dana C. Simon for presentment of motion to amend/correct, motion for judgment, motion for new trial, motion for relief,,,,,,,,,,,,,,,, #424 before Honorable James F. Holderman on 9/29/2009 at 09:00 AM. (Simon, Dana) |
Filing 424 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct order on motion for judgment,, order on motion to withdraw,, terminated case, jury trial - completed,,,,,,,,,,,, #420 , entered judgment #421 , MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for judgment, MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for new trial [PLAINTIFFS RENEWED MOTION FOR JUDGMENT AS A MATTER OF LAW, MOTION TO AMEND THE JUDGMENT, AND MOTION FOR NEW TRIAL] (Simon, Dana) |
Filing 423 NOTICE of Motion by David B. Sudzus for presentment of motion for judgment not withstanding the verdict #422 before Honorable James F. Holderman on 9/29/2009 at 09:00 AM. (Sudzus, David) |
Filing 422 MOTION by Defendants Johnson & Johnson, McNeil Consumer Healthcarefor judgment not withstanding the verdict [CONDITIONAL RENEWAL OF RULE 50(a) MOTION FOR JUDGMENT AS A MATTER OF LAW PURSUANT TO RULE 50(b) AFTER TRIAL] (Sudzus, David) |
Filing 421 ENTERED JUDGMENT on 9/1/2009:Mailed notice(hp, ) |
Filing 420 MINUTE entry before the Honorable James F. Holderman: Trial ends (Jury). Judgment is entered on the verdict for the defendants based upon that defendant Johnson & Johnson was found not to be negligent and that defendant McNeil, who was found to be negligent and the negligence was a proximate cause of plaintiff Karen Robinson's injuries, the jury also found that plaintiff Karen Robinson was negligent. In accordance with the Court's understanding of the law of Virginia, that will bar the recovery. Civil case terminated. Mailed notice (hp, ) |
Filing 419 OFFICIAL Verdict Form entered in favor of defendant and against plaintiff. (RESTRICTED) (hp, ) |
Filing 418 JURY Notes.(hp, ) (Main Document 418 replaced on 8/7/2018) (ew, ). Modified on 8/7/2018 (ew, ). (Main Document 418 replaced on 11/6/2018, missing pages imaged) (rp, ). |
Filing 417 CLOSING ARGUMENT Powerpoint-1 by Defendants (Attachments #1 Pages 21 through 29) (Attachment #2 Pages 30 through 58) (hp, ). Modified on 9/3/2009 (hp, ). |
Filing 416 CLOSING ARGUMENT Powerpoint-2 by Defendants(hp, ) |
Filing 415 FINAL JURY Instructions (hp, ) |
Filing 414 MINUTE entry before the Honorable James F. Holderman: Jury trial held on 8/31/2009 and is continued for 9/1/2009 at 9:00 AM. Mailed notice (am) |
Filing 413 Defendants' Proposed Post- Closing Argument Curative Jury Instruction by Johnson & Johnson, McNeil Consumer Healthcare (Sudzus, David) |
Filing 412 RESPONSE by McNeil Consumer Healthcarein Opposition to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for judgment [PLAINTIFFS' MOTION FOR JUDGMENT AS A MATTER OF LAW] #411 (Sudzus, David) |
Filing 411 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for judgment [PLAINTIFFS' MOTION FOR JUDGMENT AS A MATTER OF LAW] (Simon, Dana) |
Filing 410 MOTION by Defendants Johnson & Johnson, McNeil Consumer Healthcare to withdraw Additional Selected Exhibits [Doc# 402] (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 409 MEMORANDUM by Karen Robinson, Jonathon Robinson in Opposition to motion for judgment #407 , motion for judgment #405 [PLAINTIFFS' MEMORANDUM OF LAW IN OPPOSITION TO DEFENDANTS' MOTIONS FOR JUDGMENT AS A MATTER OF LAW] (Simon, Dana) |
Filing 408 MINUTE entry before the Honorable James F. Holderman: Application of Lisa White Shirley to appear pro hac vice #391 is granted. Defendants' motion for judgment as a matter of law #405 and renewed motion for judgment as a matter of law #407 are taken under advisement. Jury trial held on 8/27/2009 and is continued for closing argument on 8/31/2009 at 9:00 AM. Counsel are requested to appear at 8:30 AM on 8/31/2009. Mailed notice (am) |
Filing 407 MOTION by Defendants Johnson & Johnson, McNeil Consumer Healthcare for judgment [Renewed] Motion for Judgement as a Matter of Law (Sudzus, David) |
Filing 406 MINUTE entry before the Honorable James F. Holderman: Defendants Johnson & Johnson, McNeil Consumer Healthcare's motion to withdraw selected exhibits #402 is granted. Jury trial held on 8/26/2009 and is continued for 8/27/2009 at 9:30 AM. The Court's proposed jury instructions submitted to counsel for review and objections. Mailed notice (am) |
Filing 405 MOTION by Defendants Johnson & Johnson, McNeil Consumer Healthcare for judgment as a Matter of Law (Sudzus, David) |
Filing 404 MINUTE entry before the Honorable James F. Holderman: Jury trial held on 8/25/2009 and is continued for 8/26/2009 at 9:00 AM. Mailed notice (am) |
Filing 403 MINUTE entry before the Honorable James F. Holderman: Jury trial held on 8/24/2009 and is continued for 8/25/2009 at 9:00 AM. Mailed notice (am) |
Filing 402 MOTION by Defendants Johnson & Johnson, McNeil Consumer Healthcare to withdraw [DEFENDANTS' MOTION TO WITHDRAW SELECTED EXHIBITS] (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 401 MINUTE entry before the Honorable James F. Holderman:Jury selection begins and completed. Jury trial begins and continued to 8/24/2009 at 09:00 AM. Judicial staff mailed notice (gl, ) |
Filing 400 MINUTE entry before the Honorable James F. Holderman:For the reasons stated in the Statement section below, plaintiff's "Emergency Motion to Amend the Final Pretrial Order and for Reconsideration of Ruling that Plaintiff Has Waived Her Breach of Warranty Claim Under Virginia Law #398 is denied. Plaintiff expressly and unequivocally waived her breach of implied warranty claim in the pretrial order without regard to whether Illinois or Virginia law governed her claims. Consequently, the court finds that a manifest injustice will not result if the Final Pretrial Order is not amended. Plaintiff will not be allowed to pursue the breach of implied warranty claim at trial.Judicial staff mailed notice (gl, ) |
Filing 399 RESPONSE by Defendants Johnson & Johnson, McNeil Consumer Healthcare to Plaintiff's emergency motion to amend the final pretrial order and for reconsideration of ruling that plaintiff waived her breach of warranty claim #392 #397 #398 (Sudzus, David) (Text Modified by Clerk's Office on 8/19/2009) (hp, ). |
Filing 398 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct pretrial order #397 [PLAINTIFFS' EMERGENCY MOTION TO AMEND THE FINAL PRETRIAL ORDER], MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for reconsideration regarding text entry,,, #392 [PLAINTIFFS' EMERGENCY MOTION FOR RECONSIDERATION OF RULING THAT PLAINTIFF HAS WAIVED HER BREACH OF WARRANTY CLAIM UNDER VIRIGINA LAW] (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 397 Final PRETRIAL Order Signed by the Honorable James F. Holderman on 8/17/2009:Judicial staff mailed notice(gl, ) |
Filing 395 MINUTE entry before the Honorable James F. Holderman:Final pretrial conference held on 8/17/2009.Judicial staff mailed notice (gl, ) |
Filing 394 MINUTE entry before the Honorable James F. Holderman: Forty-two completed juror selection questionnaires will be provided to counsel for each party. The information contained therein is confidential until the jury selection on August 19, 2009. No one other than counsel and counsel's assistants, who were identified in Docket Entries 386 and 388, may be provided the information contained on the forty-two completed questionnaires, and no one may conduct any type of investigation, whether it be electronic or through any other means, using or based on the information contained therein. Judicial staff mailed notice (gl, ) Modified on 8/18/2009. (gmr, ). |
Filing 393 MINUTE entry before the Honorable James F. Holderman: The court, after reviewing counsels' filings, sets forth the copy of the verdict form that will be given to the jurors before opening statements for their review and consideration during the trial. The final official verdict form will be given to the jurors when they retire to deliberate on the jury's verdict. Judicial staff mailed notice (Attachments: #1 Appendix) (gl, ) Modified on 8/18/2009. (gmr, ). |
Filing 392 MINUTE entry before the Honorable James F. Holderman:The court has considered counsels' objections to the Preliminary Jury Instructions and has made modifications in response to the parties' objections where warranted under the law. Counsel need not file or voice further objections thereto to preserve their record with regard to the Preliminary Jury Instructions, unless they desire to do so.The reason the court did not include a preliminary substantive jury instruction on breach of implied warranty to which the plaintiff has now filed an objection [Dkt. 383] is that in subsection (k) of the parties joint proposed final pretrial order plaintiff withdrew that claim stating: (k) Plaintiffs do not intend to pursue their claims based on consumer fraud, battery, breach of express warranty and breach of implied warranty. [Dkt. 245, p.11](emphasis added).Judicial staff mailed notice (Attachments: #1 Appendix) (gl, ) Modified on 8/18/2009. (gmr, ). |
Filing 391 MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 07520000000004015827. [LISA WHITE SHIRLEY APPLICATION FOR LEAVE TO APPEAR PRO HAC VICE] (SHIRLEY, LISA) |
Filing 390 CERTIFICATE of Service of Defendants' Objections to the Court's Proposed Verdict Form by David B. Sudzus on behalf of Johnson & Johnson, McNeil Consumer Healthcare regarding other #389 (Sudzus, David) |
Filing 389 Objections to the Court's Proposed Verdict Form by Johnson & Johnson, McNeil Consumer Healthcare (Sudzus, David) |
Filing 388 STATEMENT OF COUNSEL AND LEGAL PERSONNEL ATTENDING TRIAL ON BEHALF OF DEFENDANTS STATEMENT by Johnson & Johnson, McNeil Consumer Healthcare (Sudzus, David) |
Filing 387 OBJECTIONS by Karen Robinson, Jonathon Robinson to terminate hearings,,,, set/reset hearings,,, #379 [PLAINTIFFS' OBJECTIONS AND COMMENTS TO THE COURT'S PROPOSED VERDICT FORM] (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 386 Statement of Counsel by Karen Robinson, Jonathon Robinson [PLAINTIFFS' STATEMENT OF COUNSEL AND LEGAL PERSONNEL ATTENDING TRIAL IN THIS MATTER ON BEHALF OF PLAINTIFFS] (Simon, Dana) |
Filing 385 MINUTE entry before the Honorable James F. Holderman:Several pro hac vice appearances have been allowed in this case. The court requests that by 3:00 p.m. on Friday, August 14, 2009, the respective parties file a statement identifying the lawyers who will be seated at counsel table during the trial, and identifying the other legal personnel who will be in the courtroom, but not at a counsel table during the trial.Judicial staff mailed notice (gl, ) |
Filing 384 MINUTE entry before the Honorable James F. Holderman:The court makes its rulings on defendants' objections to the testimony of plaintiffs' deposition witnesses not previously ruled on #382 as set forth in the STATEMENT section.Judicial staff mailed notice (gl, ) |
Filing 396 MINUTE entry before the Honorable James F. Holderman dated 8/17/09.Final Pretrial Conference held and Final Pretrial Order signed by the court following the Conference entered. Counsel are to follow all trial procedures outlined at the Final Pretrial Conference. Opening statements to commence immediately upon the conclusion of jury selection, which remains scheduled for August 19, 2009 at 9:00 a.m. Plaintiff to begin presentation of live witnesses on August 24, 2009 at 9:00 a.m. as previously scheduled. Settlement discussed; no settlement reached at this time. The court continues to encourage the parties to discuss settlement of this case.Judicial staff mailed notice (gl, ) Modified on 8/18/2009. (gmr, ). |
Filing 383 OBJECTIONS by Karen Robinson, Jonathon Robinson to text entry,,, #336 [PLAINTIFF'S OBJECTIONS TO THE COURT'S PROPOSED PRELIMINARY SUBSTANTIVE JURY INSTRUCTIONS] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C)(Simon, Dana) |
Filing 382 DEFENDANTS' REQUEST FOR RULING ON DEPOSITION DESIGNATION OBJECTIONS ON WHICH THE COURT DID NOT PREVIOUSLY RULE by Johnson & Johnson, McNeil Consumer Healthcare (Sudzus, David) |
Filing 381 DEFENDANTS' COMMENTS AND OBJECTIONS TO PROPOSED PRELIMINARY SUBSTANTIVE JURY INSTRUCTIONS by Johnson & Johnson, McNeil Consumer Healthcare (Sudzus, David) |
Filing 380 DEFENDANTS' OBJECTIONS TO THE COURT'S JUROR QUESTIONNAIRE by Johnson & Johnson, McNeil Consumer Healthcare (Sudzus, David) |
Filing 379 MINUTE entry before the Honorable James F. Holderman:The court submits to counsel, for review, comments and any objections, the cour's proposed jury verdict form. Counsel are requested to file any objections to the proposed jury verdict form by 4:30 p.m. on Friday, April 14, 2009.Additionally, the court requests that the final pretrial conference on August 17, 2009 commence at 2:00 p.m. in Courtroom 2541 of the Dirksen U.S. Courthouse. Counsel are reminded that jury selection in the case will begin at 9:00 a.m. on August 19, 2009. The court intends to have copies of the prospective jurors completed questionnaires available for counsel by no later than the conclusion of the final pretrial conference on August 17, 2009. The court again urges the parties to discuss settlement.Judicial staff mailed notice (Attachments: #1 Appendix) (gl, ) |
Filing 378 MINUTE entry before the Honorable James F. Holderman:Application to appear pro hac vice #342 of attorney Matthew M. Shors on behalf of the defendants is granted. Motion terminated. Judicial staff mailed notice (gl, ) |
Filing 377 MINUTE entry before the Honorable James F. Holderman: The docket in this matter should be changed to reflect the correct case caption, KAREN ROBINSON and JONATHAN ROBINSON v. MCNEIL CONSUMER HEALTHCARE, a Division of MCNEIL-PPC, INC.; and JOHNSON & JOHNSON. Mailed notice. (jj, ) |
Filing 376 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 13 #275 to Exclude Inadmissible Hearsay Statements Made By FDA Employees Regarding Children's Motrin is granted.Judicial staff mailed notice (gl, ) |
Filing 375 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 12 #272 to Exclude Evidence Concerning Hearsay Medical Opinions is denied.Judicial staff mailed notice (gl, ) |
Filing 374 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 11 #274 to Exclude Documents or Testimony Related to Children's Motrin That Post-Date Karen Robinson's Alleged Use of Childrens Motrin in September 2005 is granted.Judicial staff mailed notice (gl, ) |
Filing 373 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 10 #252 to Exclude Evidence of or Reference to McNeil's 1984 Petition for Reconsideration is denied.Judicial staff mailed notice (gl, ) |
Filing 372 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 9 #250 to Exclude Evidence of Other Lawsuits, Claims or Settlements Involving Childrens Motrin or Other Ibuprofen Products is granted.Judicial staff mailed notice (gl, ) |
Filing 371 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 8 #270 to Exclude Evidence of Adverse Drug Reaction Data Listings from the World Health Organization is granted. Judicial staff mailed notice (gl, ) |
Filing 370 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 7 #248 to Exclude Citizen's Petition is granted.Judicial staff mailed notice (gl, ) |
Filing 369 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 6 #254 to Exclude Testimony or Questions Regarding Rechallenges Occurring in Upjohn Clinical Trials is granted.Judicial staff mailed notice (gl, ) |
Filing 368 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 5 #260 to Exclude Evidence of References to Stevens-Johnson Syndrome in the Boston University Fever Study Data is granted to the extent that the information constitutes hearsay. Judicial staff mailed notice (gl, ) Modified on 8/25/2009 (jj, ). |
Filing 367 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 4 #265 to Exclude Evidence that an SJS/TEN or "Life-Threatening" Warning Should Have Been Included on the Over-the-Counter Children's Motrin Label is granted.Judicial staff mailed notice (gl, ) |
Filing 366 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 3 #257 to Exclude Evidence of or Reference to Foreign Labeling and Regulatory Actions is denied.Judicial staff mailed notice (gl, ) |
Filing 365 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 2 #256 to Exclude Evidence of or Reference to Adverse Event Reports is granted.Judicial staff mailed notice (gl, ) |
Filing 364 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion in Limine Number 14 #277 to Exclude Any and All Marketing and/or Promotional Materials Related to Children's Motrin Not Review and Relied Upon By Plaintiffs is denied.Judicial staff mailed notice (gl, ) |
Filing 363 MINUTE entry before the Honorable James F. Holderman:Plaintiff's Motion for Leave to File Response #264 is granted. Defendants' Motion to Exclude Expert Testimony of Dr. Evan Schlam, Randall Tackett, Ph.D., and Robert Nelson, Ph.D. #210 is denied.Judicial staff mailed notice (gl, ) |
Filing 362 MINUTE entry before the Honorable James F. Holderman:Defendant's Motion to Exclude Expert Testimony of Dr. Roger Salisbury #209 is denied on the same bases as the court ruled in Lofton v. McNeil Consumer, et l., 2008 WL 4878066 (N.D. Tex. 2008). Judicial staff mailed notice (gl, ) |
Filing 361 MINUTE entry before the Honorable James F. Holderman:Defendants' Motion for Determination, Under Rule 37(c)(1), that Plaintiffs Are Not Allowed to Use Drs. Nelson, Salisbury, or Tackett to Supply Evidence on a Motion, at a Hearing or at Trial #194 is denied except that the testimony of these witnesses is limited in this case as their testimony was limited in Lofton v. McNeil Consumer and Speciality Pharmaceuticals, et al., 2008 WL 4878066, *7 (N.D. Tex. 2008) and to their respective reports.Judicial staff mailed notice (gl, ) |
Filing 360 MINUTE entry before the Honorable James F. Holderman:Plaintiff's Motion for Leave to File Response #261 is granted. Defendants' Motion to Exclude Expert Testimony of Dr. Scheffer Tseng #211 is granted as to plaintiff's case-in-chief as needlessly cumulative of other expert testimony on the same subject matter. Dr. Tseng may testify to matters and provide opinions regarding matters not covered by the other plaintiff's experts in plaintiff's case-in-chief and as a rebuttal witness if the evidence provided by Dr. Tseng rebuts evidence presented in the defendants' case, except regarding the issues of causation and future costs, as Dr. Tseng's opinions are too speculative on those issues to be admitted into evidence. Dr. Tseng's testimony on causation does not satisfy the requirements of Rule 702 of the Federal Rules of Evidence and Daubert.Judicial staff mailed notice (gl, ) |
Filing 359 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion to Exclude the Expert Testimony of Dr. Paul Waymack #192 is granted.Judicial staff mailed notice (gl, ) |
Filing 358 MINUTE entry before the Honorable James F. Holderman:Plaintiff's Motion to Exclude Dr. Maja Mockenhaupt's Testimony Regarding Viral Infections as a General or Specific Cause of SJS/TEN #191 is granted solely as it relates to her opinions that viral infections are a general cause of Stevens-Johnson syndrome (SJS) or Toxic Epidermal Necrolysis (TEN), and a possible cause of Ms. Robinsons TEN.Judicial staff mailed notice (gl, ) |
Filing 357 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion to Exclude the Testimony of Dr. Robert Weinberg Regarding the Cause of Plaintiff Karen Robinson's Disease #190 is granted because defendants "do not oppose plaintiff's motion to exclude these two (and only these two) opinions." [Doc. 278, p. 1]Judicial staff mailed notice (gl, ) |
Filing 356 MINUTE entry before the Honorable James F. Holderman:Plaintiff's Motion to Exclude the Testimony of Dr. Christine Wood That Plaintiff Karen Robinson Would Not Have Followed A Warning Regarding SJS/TEN on the Label of Children's Motrin #193 is granted.Judicial staff mailed notice (gl, ) |
Filing 355 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 10 #243 Regarding Reference That Anyone Other Than a Drug Manufacturer Has the Ultimate Responsibility for Providing Adequate Warning Labels is granted to the extent that defense counsel are to comply with the representations in their response to this motioJudicial staff mailed notice (gl, ) |
Filing 354 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 9 #242 Regarding Reference to Current FDA Preamble is granted to the extent that defense counsel are to comply with the representations in their response to this motion.Judicial staff mailed notice (gl, ) |
Filing 353 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 8 #241 Regarding Statements that Compliance With FDA Regulations Absolve Defendants As a Matter of Law is granted as and to the extent that the legal question of whether compliance with FDA regulations absolves either of the defendants from liability.Judicial staff mailed notice (gl, ) |
Filing 352 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 7 #240 Regarding Specific Circumstances of Plaintiffs' Hiring Counsel is granted without opposition.Judicial staff mailed notice (gl, ) |
Filing 351 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 6 #239 Regarding Specific Commentary to When Injury Occurred and When Case Is Going to Trial is granted to the extent that no counsel should comment that the length of time between the date of injury and trial is unusual. Judicial staff mailed notice (gl, ) |
Filing 350 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 5 #238 Regarding Specific Causation Opinions From Dr. Robert Weinberg is granted by agreement that Dr. Weinberg should be precluded from offering opinions as to the cause of Karen Robinson's SJS or TEN." (Doc. 319, p. 1)Judicial staff mailed notice (gl, ) |
Filing 349 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 4 #237 Regarding Reference to Food or Chemicals Causing Plaintiffs Injuries is denied.Judicial staff mailed notice (gl, ) |
Filing 348 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 3 #236 Regarding Reference to Infections Other Than Herpes Simplex Virus is denied.Judicial staff mailed notice (gl, ) |
Filing 347 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 2 #235 Regarding Reference to Herpes Simplex Virus is denied.Judicial staff mailed notice (gl, ) |
Filing 346 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 1 #234 Regarding Collateral Sources is granted as the law allows, but not beyond the appropriate reach of the collateral source rule as interpreted by the courts of Virginia.Judicial staff mailed notice (gl, ) |
Filing 345 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion in Limine No. 11 #244 Regarding Reference By Anyone That a Drug Manufacturer Could Not Change the Warning Label on Medication Without Prior FDA Approval is granted to the extent that defense counsel are to comply with the representations in their response to this motion.Judicial staff mailed notice (gl, ) |
Filing 344 MINUTE entry before the Honorable James F. Holderman: The court makes its rulings on plaintiffs' objections to the testimony of defendants' deposition witnesses as indicated in the submitted deposition transcripts setting forth the designations by page and line for the defendants' deposition witnesses as listed in the Statement section of this order.Judicial staff mailed notice (gl, ) |
Filing 343 MINUTE entry before the Honorable James F. Holderman:The court makes its rulings on defendants' objections to the testimony of plaintiffs' deposition witnesses as indicated in the submitted deposition transcripts setting forth the designations by page and line for the plaintiffs' deposition witnesses as listed in the Statement section of this order.Judicial staff mailed notice (gl, ) |
Filing 342 MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 07520000000004006201. (Shors, Matthew) |
Filing 341 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to strike Expert Testimony of Dr. Roger Salisbury #209 (Simon, Dana) |
Filing 340 RESPONSE by Karen Robinson, Jonathon Robinsonin Opposition to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to strike Expert Testimony of Dr. Evan Schlam, Randall Tackett, Ph.D. and Robert Nelson, Ph.D #210 (Simon, Dana) |
Filing 339 MINUTE entry before the Honorable James F. Holderman:The name of Chris D. Jones is corrected to read Christy D. Jones in this court's order of 8/12/09 (338).Judicial staff mailed notice (gl, ) |
Filing 338 MINUTE entry before the Honorable James F. Holderman:Application to appear pro hac vice [213 & 214] of Kari Louise Sutherland and Chris D. Jones on behalf of defendants is granted. Motion terminated. : Judicial staff mailed notice (gl, ) |
Filing 337 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' Motion for leave to file #263 response in opposition and incorporated brief to defendants' motion exclude expert testimony of Drs. Schlam, Tackett and Nelson in excess of 15 pages is granted. Plaintiffs' motion #267 for leaveto file response and incorporated brief to defendants' motion exclude expert testimony of Dr. Roger Salisbury in excess of 15 pages is granted Motions terminated. The motion hearings set for 8/13/09 are stricken. Judicial staff mailed notice (gl, ) |
Filing 336 MINUTE entry before the Honorable James F. Holderman:The court submits to counsel for the parties for comment and objection, to be filed by August 13, 2009 at 5:00 p.m., two items: (1) the court's proposed preliminary substantive jury instructions, based upon Virginia law, to be read to the jury before opening statements in accordance with the Seventh Circuit American Jury Project Commission's Final Report (September 2008), p. 25 (www.7thcircuitbar.org/associations/1507/files/7th%20Circuit%20American% 20Jury%20Project%20Final%20Report.pdf), and (2) the court's letter and Juror Questionnaire to be distributed to prospective jurors on August 17, 2009 for the scheduled August 19, 2009 jury selection.Judicial staff mailed notice (Attachments: #1 Appendix 1, #2 Appendix 2, #3 Appendix 3) (gl, ) |
Filing 335 Plaintiffs' Proposed Verdict Form by Karen Robinson, Jonathon Robinson (Simon, Dana) |
Filing 334 PROPOSED Voir Dire by Karen Robinson, Jonathon Robinson (Simon, Dana) |
Filing 333 DECLARATION of DAVID B. SUDZUS regarding reply, #332 [DECLARATION IN SUPPORT OF DEFENDANTS' REPLY IN SUPPORT OF DEFENDANTS' MOTION TO EXCLUDE EXPERT TESTIMONY OF DR. EVAN SCHLAM, RANDALL TACKETT, PH.D., AND ROBERT NELSON, PH. D.] (Attachments: #1 Exhibit A, #2 Exhibit B)(Sudzus, David) |
Filing 332 REPLY by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to motion to strike #210 [REPLY IN SUPPORT OF DEFENDANTS' MOTION TO EXCLUDE EXPERT TESTIMONY OF DR. EVAN SCHLAM, RANDALL TACKETT, PH.D., AND ROBERT NELSON, PH.D.] (Sudzus, David) |
Filing 331 DECLARATION of DAVID B. SUDZUS regarding reply #330 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' REPLY TO EXCLUDE EXPERT TESTIMONY OF DR. ROGER SALISBURY] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D)(Sudzus, David) |
Filing 330 REPLY by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to motion to strike #209 [REPLY IN SUPPORT OF DEFENDANTS' MOTION TO EXCLUDE EXPERT TESTIMONY OF DR. ROGER SALISBURY] (Sudzus, David) |
Filing 329 DECLARATION of DAVID B. SUDZUS regarding reply #327 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' REPLY TO EXCLUDE EXPERT TESTIMONY OF DR. SCHEFFER TSENG] (Attachments: #1 Exhibit A, #2 Exhibit B)(Sudzus, David) |
Filing 328 REPLY by Plaintiffs Karen Robinson, Jonathon Robinson to response to motion, #278 [Plaintiffs Reply Regarding Motion to Exclude the Expert Testimony of Dr. Robert Weinberg Regarding the Cause of Plaintiff Karen Robinsons Disease] (Simon, Dana) |
Filing 327 REPLY by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to motion to strike #211 [REPLY IN SUPPORT OF DEFENDANTS' MOTION TO EXCLUDE EXPERT TESTIMONY OF DR. SCHEFFER TSENG] (Sudzus, David) |
Filing 326 REPLY by Plaintiffs Karen Robinson, Jonathon Robinson to response to motion, #280 [Plaintiffs Reply Regarding Motion to Exclude the Expert Testimony of Dr. Maja Mockenhaupt Regarding Viral Infections As A General or Specific Cause of SJS/TEN] (Simon, Dana) |
Filing 325 REPLY by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to motion to strike, #194 [REPLY IN SUPPORT OF DEFENDANTS' MOTION FOR DETERMINATION, UNDER RULE 37 (c)(1), THAT PLAINTIFFS ARE NOT ALLOWED TO USE DRS. NELSON, SALISBURY, OR TACKETT TO SUPPLY EVIDENCE ON A MOTION, AT A HEARING, OR AT TRIAL] (Sudzus, David) |
Filing 324 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 11 Regarding Reference by Anyone That a Drug Manufacturer Could not Change the Warning Label on Medication Without Prior FDA Approval #244 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 11 REGARDING STATEMENTS THAT A DRUG MANUFACTURER COULD NOT CHANGE THE WARNING LABEL ON MEDICATION WITHOUT PRIOR FDA APPROVAL] (Sudzus, David) |
Filing 323 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 10 Regarding Reference that Anyone Other than a Drug Manufacturer has the Ultimate Responsibility for Providing Adequate Warning Labels #243 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 10, REGARDING REFERENCE TO RESPONSIBILITY FOR PROVING ADEQUATE WARNINGS AND THE FDA'S AUTHORITY TO APPROVE DRUG LABELS] (Sudzus, David) |
Filing 322 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 9 Regarding Reference to Current FDA Preamble #242 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 9 REGARDING REFERENCE TO THE CURRENT FDA PREAMBLE] (Sudzus, David) |
Filing 321 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 8 Regarding Statements that Compliance with FDA Regulations Absolve Defendants as a Matter of Law #241 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 8 REGARDING STATEMENTS THAT COMPLIANCE WITH FDA REGULATIONS ABSOLVE DEFENDANTS AS A MATTER OF LAW] (Sudzus, David) |
Filing 320 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 6 Regarding Commentary to When Injury Occurred and When Case is Going to Trial #239 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 6 REGARDING COMMENTARY TO WHEN INJURY OCCURRED AND WHEN CASE IS GOING TO TRIAL] (Sudzus, David) |
Filing 319 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 5 Regarding Specific Causation Opinions From Dr. Robert Weinberg #238 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 5 REGARDING SPECIFIC CAUSATION OPINIONS FROM DR. ROBERT WEINBERG] (Sudzus, David) |
Filing 318 DECLARATION of DAVID B. SUDZUS regarding response to motion, #317 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 4 REGARDING REFERENCE TO FOOD OR CHEMICALS CAUSING PLAINTIFFS' INJURIES] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E)(Sudzus, David) |
Filing 317 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 4 Regarding Reference to Food or Chemicals Causing Plaintiffs' Injuries #237 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 4 REGARDING REFERENCE TO FOOD OR CHEMICALS CAUSING PLAINTIFFS' INJURIES] (Sudzus, David) |
Filing 316 DECLARATION of DAVID B. SUDZUS regarding response to motion, #315 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 3 REGARDING REFERENCE TO INFECTIONS OTHER THAN HERPES SIMPLEX VIRUS] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J, #11 Exhibit K, #12 Exhibit L)(Sudzus, David) |
Filing 315 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 3 Regarding Reference to Infections Other than Herpes Simplex Virus #236 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 3 REGARDING REFERENCE TO INFECTIONS OTHER THAN HERPES SIMPLEX VIRUS] (Sudzus, David) |
Filing 314 SEALED DOCUMENT by Plaintiffs Karen Robinson, Jonathon Robinson [EXHIBITS A, A1-A15 to Docket #310 - Plaintiffs Response to Defendants Motion In Limine Number 6 to Exclude Testimony or Questions Regarding Rechallenges Occurring in Upjohn Clinical Trials] (Attachments: #1 Exhibit A1, #2 Exhibit A2, #3 Exhibit A3, #4 Exhibit A4, #5 Exhibit A5, #6 Exhibit A6, #7 Exhibit A7, #8 Exhibit A8, #9 Exhibit A9, #10 Exhibit A10, #11 Exhibit A11, #12 Exhibit A12, #13 Exhibit A13, #14 Exhibit A14, #15 Exhibit A15)(Simon, Dana) |
Filing 313 DECLARATION of DAVID B. SUDZUS regarding response to motion, #312 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 2 REGARDING REFERENCE TO HERPES SIMPLEX VIRUS] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D)(Sudzus, David) |
Filing 312 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 2 Regarding Reference to Herpes Simplex Virus #235 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 2 REGARDING REFERENCE TO HERPES SIMPLEX VIRUS] (Sudzus, David) |
Filing 311 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 1 Regarding Collateral Sources #234 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION IN LIMINE NO. 1 REGARDING COLLATERAL SOURCES] (Sudzus, David) |
Filing 310 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 6 TO EXCLUDE TESTIMONY OR QUESTIONS REGARDING RECHALLENGES OCCURRING IN UPJOHN CLINICAL TRIALS] #254 (Attachments: #1 Exhibit B, #2 Exhibit C, #3 Exhibit D)(Simon, Dana) |
Filing 309 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 12 TO EXCLUDE EVIDENCE CONCERNING HEARSAY MEDICAL OPINIONS] #272 (Attachments: #1 Exhibit A, #2 Exhibit B)(Simon, Dana) |
Filing 308 SEALED DOCUMENT by Plaintiffs Karen Robinson, Jonathon Robinson [EXHIBIT A to Docket #307 - Plaintiffs' Response to Defendants' Motion In Limine Number 14 to Exclude Marketing and/or Promotional Materials Related to Children's Motrin Not Reviewed and Relied Upon by Plaintiffs] (Simon, Dana) |
Filing 307 RESPONSE to Defendants' Motion In Limine Number 14 to Exclude Marketing and/or Promotional Materials Related to Children's Motrin Not Reviewed and Relied Upon by Plaintiffs (Attachments: #1 Exhibit B)(Simon, Dana) |
Filing 306 MINUTE entry before the Honorable James F. Holderman:For the reasons set forth in the Statement section below, the defendants; "Motion in Limine Number 1 for Application of Virginia Law Regarding Punitive Damages Awards and Loss of Consortium Claims; Excluding Related Evidence" #246 is granted in part. The court finds that Virginia law applies to the plaintiffs' claims. Virginia law does not recognize claims for loss of consortium and caps any award for punitive damages at $350,000. Plaintiff Jonathon Robinson's claim for loss of consortium is dismissed. The court, however, will allow evidence of the defendants' net worth to be presented to the jury as it is a relevant consideration in assessing punitive damages. The parties are once again urged to discuss settlement. The court is intending to proceed with jury selection on Wednesday, August 19, 2009 at 9:00 a.m. for the August 24, 2009 trial. The court has adopted with slight modifications the juror questionnaire form agreed to by counsel. That form is attached and will be double-sided when distributed to the prospective jurors for completion on August 17, 2009 before the prospective jurors leave the Courthouse that day.Judicial staff mailed notice (Attachments: #1 Appendix Questionnaire) (gl, ) |
Filing 305 RESPONSE to Defendants' Motion In Limine Number 11 to Exclude Documents or Testimony Related to Children's Motrin That Post-Date Karen Robinson's Alleged Use of Children's Motrin in September 2005 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C)(Simon, Dana) |
Filing 304 SEALED DOCUMENT by Plaintiffs Karen Robinson, Jonathon Robinson [EXHIBIT G to Docket #294 - Plaintiffs' Consolidated Response in Opposition to Defendants' Motions in Limine Numbers 2 & 8 Regarding Adverse Event Reports and Adverse Drug Reaction Data Listings From the World Health Organization] (Simon, Dana) |
Filing 303 SEALED DOCUMENT by Plaintiffs Karen Robinson, Jonathon Robinson [EXHIBIT E to Docket #294 - Plaintiffs' Consolidated Response in Opposition to Defendants' Motions in Limine Numbers 2 & 8 Regarding Adverse Event Reports and Adverse Drug Reaction Data Listings From the World Health Organization] (Simon, Dana) |
Filing 302 SEALED DOCUMENT by Plaintiffs Karen Robinson, Jonathon Robinson [EXHIBIT D to Docket #294 - Plaintiffs' Consolidated Response in Opposition to Defendants' Motions in Limine Numbers 2 & 8 Regarding Adverse Event Reports and Adverse Drug Reaction Data Listings From the World Health Organization] (Simon, Dana) |
Filing 301 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 13 TO EXCLUDE INADMISSIBLE HEARSAY STATEMENTS MADE BY FDA EMPLOYEES REGARDING CHILDREN'S MOTRIN]MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 13 TO EXCLUDE INADMISSIBLE HEARSAY STATEMENTS MADE BY FDA EMPLOYEES REGARDING CHILDREN'S MOTRIN] #275 (Simon, Dana) |
Filing 300 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 10 TO EXCLUDE EVIDENCE OF OR REFERENCE TO MCNEIL'S 1984 PETITION FOR RECONSIDERATION] #252 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C)(Simon, Dana) |
Filing 299 RESPONSE to Defendants' Motion In Limine Number 9 to Exclude Evidence of Other Lawsuits, Claims or Settlements Involving Children's Motrin or Other Ibuprofen Products (Simon, Dana) |
Filing 298 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 7 TO EXCLUDE CITIZEN'S PETITION] #248 (Simon, Dana) |
Filing 297 RESPONSE to Defendants' Motion In Limine Number 5 to Exclude Evidence of References to Stevens-Johnson Syndrome In the Boston University Fever Study Data (Simon, Dana) |
Filing 296 RESPONSE to Defendants' Motion In Limine Number 4 to Exclude Evidence That an SJS/TEN or "Life-Threatening" Warning Should Have Been Included on the Over-The-Counter Children's Motrin Label (Simon, Dana) |
Filing 295 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 3 TO EXCLUDE EVIDENCE OF OR REFERENCE TO FOREIGN LABELING AND REGULATORY ACTIONS] #257 (Attachments: #1 Exhibit A, #2 Exhibit B)(Simon, Dana) |
Filing 294 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 2 TO EXCLUDE EVIDENCE OF OR REFERENCE TO ADVERSE EVENT REPORTS] #256 , MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 8 TO EXCLUDE EVIDENCE OF ADVERSE DRUG REACTION DATA LISTINGS FROM THE WORLD HEALTH ORGANIZATION]MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 8 TO EXCLUDE EVIDENCE OF ADVERSE DRUG REACTION DATA LISTINGS FROM THE WORLD HEALTH ORGANIZATION] #270 (Attachments: #1 Exhibit A-1, #2 Exhibit A2, #3 Exhibit B, #4 Exhibit C, #5 Exhibit F, #6 Exhibit H)(Simon, Dana) |
Filing 293 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to strike Expert Testimony of Dr. Scheffer Tseng #211 "PLAINTIFFS' RESPONSE TO DEFENDANTS' MOTION TO EXCLUDE EXPERT TESTIMONY OF DR. SCHEFFER TSENG" (Exhibits filed under Docket Entry #287) (Simon, Dana) |
Filing 292 MINUTE entry before the Honorable James F. Holderman:Plaintiffs' amended motion (287) for leave to file response and incorporated brief to defendants' motion exclude expert testimony of Dr. Scheffer Tseng in excess of 15 pages is granted. Motion terminated. The motion hearing set for 8/13/09 is stricken.Judicial staff mailed notice (gl, ) |
Filing 291 RESPONSE to Defendants' Motion in Limine No. 1 For Application of Virginia Law Regarding Punitive Damages Awards and Loss of Consortium Claims (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E-1, #6 Exhibit E-2, #7 Exhibit F, #8 Exhibit G, #9 Exhibit H, #10 Exhibit I, #11 Exhibit J)(Simon, Dana) |
Filing 290 MINUTE entry before the Honorable James F. Holderman:The Court has completed a preliminary review of the parties; proposed final pre-trial order and requests the parties to submit proposed voir dire questions and proposed verdict forms through the Proposed_Order_Holderman@ilnd.uscourts.gov email address by no later than August 11, 2009.Judicial staff mailed notice (gl, ) |
Filing 289 MINUTE entry before the Honorable James F. Holderman:The Court finds that a key pre-trial issue affecting other determinations the Court must make is the choice of law question raised by Defendants' Motion in Limine No. 1 #246 . The Court requests Plaintiff's counsel to respond to Defendants' Motion in Limine Number 1 no later than 5 p.m. on August 7, 2009. The August 10, 2009 response date remains in effect for the other motions in limine that have been filed. Judicial staff mailed notice (gl, ) |
Filing 288 AMENDED NOTICE of Motion by Dana C. Simon for presentment of motion for leave to file excess pages,,,,, #287 before Honorable James F. Holderman on 8/13/2009 at 09:00 AM. (Simon, Dana) |
Filing 287 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for leave to file excess pages Plaintiffs' AMENDED Motion for Leave to File Response and Incorporated Brief to Defendants' Motion to Exclude Expert Testimony of Dr. Scheffer Tseng in Excess of 15 Pages (Attachments: #1 Exhibit A, #2 Exhibit A-1, #3 Exhibit A-2, #4 Exhibit A-3, #5 Exhibit A-4, #6 Exhibit A-5, #7 Exhibit A-6, #8 Exhibit A-7, #9 Exhibit A-8, #10 Exhibit A-9, #11 Exhibit A-10, #12 Exhibit A-11, #13 Exhibit A-12, #14 Exhibit A-13, #15 Exhibit A-14, #16 Exhibit A-15, #17 Exhibit A-16(A), #18 Exhibit A-16(B), #19 Exhibit A-16(C), #20 Exhibit A-17, #21 Exhibit A-18, #22 Exhibit A-19, #23 Exhibit A-20, #24 Exhibit A-21, #25 Exhibit A-22, #26 Exhibit A-23, #27 Exhibit A-24, #28 Exhibit A-25, #29 Exhibit A-26, #30 Exhibit A-27, #31 Exhibit A-28, #32 Exhibit A-29, #33 Exhibit A-30(A), #34 Exhibit A-30(B), #35 Exhibit A-31, #36 Exhibit A-32, #37 Exhibit A-33, #38 Exhibit A-34, #39 Exhibit A-35, #40 Exhibit A-36, #41 Exhibit A-37, #42 Exhibit A-38, #43 Exhibit A-39, #44 Exhibit A-40, #45 Exhibit A-41, #46 Exhibit A-42, #47 Exhibit A-43, #48 Exhibit A-44, #49 Exhibit A-45, #50 Exhibit A-46, #51 Exhibit A-47, #52 Exhibit A-48, #53 Exhibit A-49)(Simon, Dana) |
Filing 286 NOTICE of Correction regarding #259 . (jj, ) |
Filing 285 DECLARATION of DAVID B. SUDZUS regarding response to motion, #284 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION TO EXCLUDE THE EXPERT TESTIMONY OF DR. PAUL WAYMACK] (Attachments: #1 Exhibit A, #2 Exhibit B)(Sudzus, David) |
Filing 284 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to strike the Expert Testimony of Dr. Paul Waymack #192 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION TO EXCLUDE THE EXPERT TESTIMONY OF DR. PAUL WAYMACK] (Sudzus, David) |
Filing 283 DECLARATION of DAVID B. SUDZUS regarding response to motion,, #282 [DECLARATION IN SUPPORT OF DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION TO EXCLUDE THE TESTIMONY OF DR. CHRISTINE WOOD THAT PLAINTIFF KAREN ROBINSON WOULD NOT HAVE FOLLOWED A WARNING REGARDING SJS/TEM ON THE LABEL OF CHILDREN'S MOTRIN] (Attachments: #1 Exhibit A, #2 Exhibit B)(Sudzus, David) |
Filing 282 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to strike the Testimony of Dr. Christine Wood That Plaintiff Karen Robinson Would Not Have Followed a Warning Regarding SJS/TEN on the Label of Children's Motrin #193 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION TO EXCLUDE THE TESTIMONY OF DR. CHRISTINE WOOD THAT PLAINTIFF KAREN ROBINSON WOULD NOT HAVE FOLLOWED A WARNING REGARDING SJS/TEM ON THE LABEL OF CHILDREN'S MOTRIN] (Sudzus, David) |
Filing 281 DECLARATION of DAVID B. SUDZUS regarding response to motion, #280 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION TO EXCLUDE THE EXPERT TESTIMONY OF DR. MAJA MOCKENHAUPT REGARDING VIRAL INFECTIONS AS A GENERAL OR SPECIFIC CAUSE OF SJS/TEM] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J, #11 Exhibit K, #12 Exhibit L, #13 Exhibit M)(Sudzus, David) |
Filing 280 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to strike Dr. Maja Mockenhaupt's Testimony Regarding Viral Infections as a General or Specific Cause of SJS/TEN #191 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION TO EXCLUDE THE EXPERT TESTIMONY OF DR. MAJA MOCKENHAUPT REGARDING VIRAL INFECTIONS AS A GENERAL OR SPECIFIC CAUSE OF SJS/TEM] (Sudzus, David) |
Filing 279 DECLARATION of DAVID B. SUDZUS regarding response to motion, #278 [DECLARATION IN SUPPORT OF DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION TO EXCLUDE THE TESTIMONY OF DR. ROBERT WEINBERG REGARDING THE CAUSE OF PLAINTIFF KAREN ROBINSON'S DISEASE] (Attachments: #1 Exhibit A, #2 Exhibit B)(Sudzus, David) |
Filing 278 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to strike the Testimony of Dr. Robert Weinberg Regarding the Cause of Plaintiff Karen Robinson's Disease #190 [DEFENDANTS' RESPONSE TO PLAINTIFFS' MOTION TO EXCLUDE THE TESTIMONY OF DR. ROBERT WEINBERG REGARDING THE CAUSE OF PLAINTIFF KAREN ROBINSON'S DISEASE] (Sudzus, David) |
Filing 277 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 14 TO EXCLUDE ANY AND ALL MARKETING AND/OR PROMOTIONAL MATERIALS RELATED TO CHILDREN'S MOTRIN NOT REVIEWED AND RELIED UPON BY PLAINTIFFS] (Sudzus, David) |
Filing 276 DECLARATION of DAVID B. SUDZUS regarding motion in limine, #275 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' MOTION IN LIMINE NO. 13 TO EXCLUDE INADMISSIBLE HEARSAY STATEMENTS MADE BY FDA EMPLOYEES REGARDING CHILDREN'S MOTRIN] (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 275 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 13 TO EXCLUDE INADMISSIBLE HEARSAY STATEMENTS MADE BY FDA EMPLOYEES REGARDING CHILDREN'S MOTRIN] (Sudzus, David) |
Filing 274 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 11 TO EXCLUDE DOCUMENTS OR TESTIMONY RELATED TO CHILDREN'S MOTRIN THAT POST-DATE KAREN ROBINSON'S ALLEGED USE OF CHILDREN'S MOTRIN IN SEPTEMBER 2005] (Sudzus, David) |
Filing 273 DECLARATION of DAVID B. SUDZUS regarding motion in limine #272 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' MOTION IN LIMINE NO. 12 TO EXCLUDE EVIDENCE CONCERNING HEARSAY MEDICAL OPINIONS] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F)(Sudzus, David) |
Filing 272 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 12 TO EXCLUDE EVIDENCE CONCERNING HEARSAY MEDICAL OPINIONS] (Sudzus, David) |
Filing 271 DECLARATION of DAVID B. SUDZUS regarding motion in limine, #270 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' MOTION IN LIMINE NO. 8 TO EXCLUDE EVIDENCE OF ADVERSE DRUG REACTION DATA LISTINGS FROM THE WORLD HEALTH ORGANIZATION] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F)(Sudzus, David) |
Filing 270 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 8 TO EXCLUDE EVIDENCE OF ADVERSE DRUG REACTION DATA LISTINGS FROM THE WORLD HEALTH ORGANIZATION] (Sudzus, David) |
Filing 269 NOTICE of Motion by Dana C. Simon for presentment of motion for leave to file excess pages,,,, #267 before Honorable James F. Holderman on 8/13/2009 at 09:00 AM. (Simon, Dana) |
Filing 268 DECLARATION of DAVID B. SUDZUS [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' MOTION IN LIMINE NO. 4 TO EXCLUDE EVIDENCE THAT AN SJS/TEN OR "LIFE-THREATENING" WARNING SHOULD HAVE BEEN INCLUDED ON THE OVER-THE-COUNTER CHILDREN'S MOTRIN LABEL] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F)(Sudzus, David) |
Filing 267 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for leave to file excess pages in Response to Defendant's Motion to Exclude Expert Testimony of Dr. Roger Salisbury (Attachments: #1 Exhibit A, #2 Exhibit A-1, #3 Exhibit A-2, #4 Exhibit A-3, #5 Exhibit A-4, #6 Exhibit A-5, #7 Exhibit A-6, #8 Exhibit A-7, #9 Exhibit A-8, #10 Exhibit A-9, #11 Exhibit A-10, #12 Exhibit A-11, #13 Exhibit A-12(A), #14 Exhibit A-12(B), #15 Exhibit A-12(C), #16 Exhibit A-13, #17 Exhibit A-14, #18 Exhibit A-15, #19 Exhibit A-16, #20 Exhibit A-17, #21 Exhibit A-18, #22 Exhibit A-19, #23 Exhibit A-20, #24 Exhibit A-21, #25 Exhibit A-22(A), #26 Exhibit A-22(B), #27 Exhibit A-23, #28 Exhibit A-24, #29 Exhibit A-25, #30 Exhibit A-26, #31 Exhibit A-27(A), #32 Exhibit A-27(B), #33 Exhibit A-28, #34 Exhibit A-29, #35 Exhibit A-30, #36 Exhibit A-31, #37 Exhibit A-32, #38 Exhibit A-33, #39 Exhibit A-34, #40 Exhibit A-35, #41 Exhibit A-36, #42 Exhibit A-37, #43 Exhibit A-38, #44 Exhibit A-39, #45 Exhibit A-40, #46 Exhibit A-41, #47 Exhibit A-42, #48 Exhibit A-43)(Simon, Dana) |
Filing 266 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to strike under Rule 37(c)(1) that plaintiffs are not allowed to use Drs. Nelson, Salisbury, or Tackett to Supply Evidence on a Motion at a Hearing, or at TrialMOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to strike under Rule 37(c)(1) that plaintiffs are not allowed to use Drs. Nelson, Salisbury, or Tackett to Supply Evidence on a Motion at a Hearing, or at Trial #194 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C-1, #4 Exhibit C-2, #5 Exhibit C-3, #6 Exhibit C-4, #7 Exhibit D)(Greenstone, David) |
Filing 265 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 4 TO EXCLUDE EVIDENCE THAT AN SJS/TEN OR "LIFE-THREATENING" WARNING SHOULD HAVE BEEN INCLUDED ON THE OVER-THE-COUNTER CHILDREN'S MOTRIN LABEL] (Sudzus, David) |
Filing 264 NOTICE of Motion by David C Greenstone for presentment of motion for leave to file excess pages,,,,,,, #263 before Honorable James F. Holderman on 8/13/2009 at 09:00 AM. (Greenstone, David) |
Filing 263 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for leave to file excess pages in Response and Opposition to Defendants' Motion to Exclude Expert Testimony of Drs. Schlam, Tackett and Nelson (Attachments: #1 Exhibit A, #2 Exhibit A-1, #3 Exhibit A-2, #4 Exhibit A-3(1), #5 Exhibit A-3(2), #6 Exhibit A-3(3), #7 Exhibit A-3(4), #8 Exhibit A-3(5), #9 Exhibit A-3(6), #10 Exhibit A-4, #11 Exhibit A-5, #12 Exhibit A-6, #13 Exhibit A-7, #14 Exhibit A-8, #15 Exhibit A-9(1), #16 Exhibit A-9(2), #17 Exhibit A-9(3), #18 Exhibit A-10, #19 Exhibit A-11, #20 Exhibit A-12, #21 Exhibit A-13, #22 Exhibit A-14, #23 Exhibit A-15, #24 Exhibit A-16, #25 Exhibit A-17, #26 Exhibit A-18, #27 Exhibit A-19, #28 Exhibit A-20, #29 Exhibit A-21, #30 Exhibit A-22(1), #31 Exhibit A-22(2), #32 Exhibit A-23, #33 Exhibit A-24, #34 Exhibit A-25, #35 Exhibit A-26, #36 Exhibit A-27(1), #37 Exhibit A-27(2), #38 Exhibit A-28, #39 Exhibit A-29, #40 Exhibit A-30, #41 Exhibit A-31, #42 Exhibit A-32, #43 Exhibit A-33, #44 Exhibit A-34, #45 Exhibit A-35, #46 Exhibit A-36, #47 Exhibit A-37, #48 Exhibit A-38, #49 Exhibit A-39, #50 Exhibit A-40, #51 Exhibit A-41, #52 Exhibit A-42, #53 Exhibit A-43, #54 Exhibit A-44, #55 Exhibit A-45, #56 Exhibit A-46, #57 Exhibit A-47, #58 Exhibit A-48, #59 Exhibit A-49, #60 Exhibit A-50, #61 Exhibit A-51, #62 Exhibit A-52, #63 Exhibit A-53, #64 Exhibit A-54, #65 Exhibit A-55(1), #66 Exhibit A-55(2), #67 Exhibit A-56, #68 Exhibit A-57, #69 Exhibit A-58, #70 Exhibit A-59, #71 Exhibit A-60, #72 Exhibit A-61, #73 Exhibit A-62, #74 Exhibit A-63, #75 Exhibit A-64)(Greenstone, David) |
Filing 262 DECLARATION of DAVID B. SUDZUS [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' MOTION IN LIMINE NO. 5 TO EXCLUDE EVIDENCE OF REFERENCE TO STEVENS-JOHNSON SYNDROME IN THE BOSTON UNIVERSITY FEVER STUDY DATA] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F)(Sudzus, David) |
Filing 261 NOTICE of Motion by Dana C. Simon for presentment of motion for leave to file excess pages,,,,, #259 before Honorable James F. Holderman on 8/13/2009 at 09:00 AM. (Simon, Dana) |
Filing 260 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 5 TO EXCLUDE EVIDENCE OF REFERENCE TO STEVENS-JOHNSON SYNDROME IN THE BOSTON UNIVERSITY FEVER STUDY DATA] (Sudzus, David) |
Filing 259 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for leave to file excess pages in Response to Defendant's Motion to Exclude Expert Testimony of Dr. Scheffer Tseng (Attachments: #1 Exhibit A, #2 Exhibit A-1, #3 Exhibit A-2, #4 Exhibit A-3, #5 Exhibit A-4, #6 Exhibit A-5, #7 Exhibit A-6, #8 Exhibit A-7, #9 Exhibit A-8, #10 Exhibit A-9, #11 Exhibit A-10, #12 Exhibit A-11, #13 Exhibit A-12, #14 Exhibit A-13, #15 Exhibit A-14, #16 Exhibit A-15, #17 Exhibit A-16A, #18 Exhibit A-16B, #19 Exhibit A-16C, #20 Exhibit A-17, #21 Exhibit A-18, #22 Exhibit A-19, #23 Exhibit A-20, #24 Exhibit A-21, #25 Exhibit A-22, #26 Exhibit A-23, #27 Exhibit A-24, #28 Exhibit A-25, #29 Exhibit A-26, #30 Exhibit A-27, #31 Exhibit A-28, #32 Exhibit A-29, #33 Exhibit 30-A, #34 Exhibit A-30B, #35 Exhibit A-31, #36 Exhibit A-32, #37 Exhibit A-33, #38 Exhibit A-34, #39 Exhibit A-35, #40 Exhibit A-36, #41 Exhibit A-37, #42 Exhibit A-38, #43 Exhibit A-39, #44 Exhibit A-40, #45 Exhibit A-41, #46 Exhibit A-42, #47 Exhibit A-43, #48 Exhibit A-44, #49 Exhibit A-45, #50 Exhibit A-46, #51 Exhibit A-47, #52 Exhibit A-48, #53 Exhibit A-49)(Simon, Dana) |
Filing 258 DECLARATION of DAVID B. SUDZUS regarding motion in limine #257 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' MOTION IN LIMINE NO. 3 TO EXCLUDE EVIDENCE OF OR REFERENCE TO FOREIGN LABELING AND REGULATORY ACTIONS] (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 257 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 3 TO EXCLUDE EVIDENCE OF OR REFERENCE TO FOREIGN LABELING AND REGULATORY ACTIONS] (Sudzus, David) |
Filing 256 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 2 TO EXCLUDE EVIDENCE OF OR REFERENCE TO ADVERSE EVENT REPORTS] (Sudzus, David) |
Filing 255 DECLARATION of DAVID B. SUDZUS regarding motion in limine #254 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' MOTION IN LIMINE NO. 6 TO EXCLUDE TESTIMONY OR QUESTIONS REGARDING RECHALLENGES OCCURRING IN UPJOHN CLINICAL TRIALS] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D)(Sudzus, David) |
Filing 254 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 6 TO EXCLUDE TESTIMONY OR QUESTIONS REGARDING RECHALLENGES OCCURRING IN UPJOHN CLINICAL TRIALS] (Sudzus, David) |
Filing 253 DECLARATION of DAVID B. SUDZUS regarding motion in limine #252 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' MOTION IN LIMINE NO. 10 TO EXCLUDE EVIDENCE OF OR REFERENCE TO MCNEIL'S 1984 PETITION FOR RECONSIDERATION] (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 252 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 10 TO EXCLUDE EVIDENCE OF OR REFERENCE TO MCNEIL'S 1984 PETITION FOR RECONSIDERATION] (Sudzus, David) |
Filing 251 DECLARATION of DAVID B. SUDZUS [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' MOTION IN LIMINE NO. 9 TO EXCLUDE EVIDENCE OF OTHER LAWSUITS, CLAIMS OR SETTLEMENTS INVOLVING CHILDREN'S MOTRIN OR OTHER IBUPROFEN PRODUCTS] (Attachments: #1 Exhibit A, #2 Exhibit B)(Sudzus, David) |
Filing 250 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 9 TO EXCLUDE EVIDENCE OF OTHER LAWSUITS, CLAIMS OR SETTLEMENTS INVOLVING CHILDREN'S MOTRIN OR OTHER IBUPROFEN PRODUCTS] (Sudzus, David) |
Filing 249 DECLARATION of DAVID B. SUDZUS regarding motion in limine #248 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS' MOTION IN LIMINE NO. 7 TO EXCLUDE CITIZEN'S PETITION] (Attachments: #1 Exhibit A, #2 Exhibit B)(Sudzus, David) |
Filing 248 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 7 TO EXCLUDE CITIZEN'S PETITION] (Sudzus, David) |
Filing 247 DECLARATION of DAVID B. SUDZUS [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF [DEFENDANTS' MOTION IN LIMINE NO. 1 FOR APPLICATION OF VIRGINIA LAW REGARDING PUNITIVE DAMAGES AWARDS AND LOSS OF CONSORTIUM CLAIMS; EXCLUDING RELATED EVIDENCE] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G)(Sudzus, David) |
Filing 246 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin limine [DEFENDANTS' MOTION IN LIMINE NO. 1 FOR APPLICATION OF VIRGINIA LAW REGARDING PUNITIVE DAMAGES AWARDS AND LOSS OF CONSORTIUM CLAIMS; EXCLUDING RELATED EVIDENCE] (Sudzus, David) |
Filing 245 PROPOSED Pretrial Order of Plaintiffs and Defendants (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J, #11 Exhibit K, #12 Exhibit L)(Greenstone, David) |
Filing 244 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 11 Regarding Reference by Anyone That a Drug Manufacturer Could not Change the Warning Label on Medication Without Prior FDA Approval (Greenstone, David) |
Filing 243 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 10 Regarding Reference that Anyone Other than a Drug Manufacturer has the Ultimate Responsibility for Providing Adequate Warning Labels (Greenstone, David) |
Filing 242 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 9 Regarding Reference to Current FDA Preamble (Greenstone, David) |
Filing 241 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 8 Regarding Statements that Compliance with FDA Regulations Absolve Defendants as a Matter of Law (Greenstone, David) |
Filing 240 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 7 Regarding Circumstances of Plaintiffs Hiring Counsel (Greenstone, David) |
Filing 239 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 6 Regarding Commentary to When Injury Occurred and When Case is Going to Trial (Greenstone, David) |
Filing 238 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 5 Regarding Specific Causation Opinions From Dr. Robert Weinberg (Attachments: #1 Exhibit A, #2 Exhibit B)(Greenstone, David) |
Filing 237 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 4 Regarding Reference to Food or Chemicals Causing Plaintiffs' Injuries (Attachments: #1 Exhibit A)(Greenstone, David) |
Filing 236 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 3 Regarding Reference to Infections Other than Herpes Simplex Virus (Attachments: #1 Exhibit A)(Greenstone, David) |
Filing 235 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 2 Regarding Reference to Herpes Simplex Virus (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D)(Greenstone, David) |
Filing 234 MOTION by Plaintiffs Karen Robinson, Jonathon Robinsonin limine NO. 1 Regarding Collateral Sources (Greenstone, David) |
Filing 233 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF JERALD UDINSKY TAKEN ON APRIL 13, 2009 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 232 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF JERALD UDINSKY TAKEN ON MARCH 31, 2009 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 231 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF ANTHONY R. TEMPLE, M.D. TAKEN ON OCTOBER 2, 2008 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 230 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF ANTHONY TEMPLE TAKEN ON FEBRUARY 20, 2008 (Attachments: #1 Exhibit A1, #2 Exhibit A2)(Simon, Dana) |
Filing 229 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF ANTHONY TEMPLE TAKEN ON DECEMBER 11, 2007 (Attachments: #1 Exhibit A1, #2 Exhibit A2)(Simon, Dana) |
Filing 228 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF ANTHONY R. TEMPLE, M.D. TAKEN ON NOVEMBER 13, 2007 (Attachments: #1 Exhibit A1, #2 Exhibit A2)(Simon, Dana) |
Filing 227 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF ROBERT SPENCE, M.D. TAKEN ON AUGUST 20, 2008 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 226 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF STEVEN SILBER, M.D. TAKEN ON APRIL 2, 2009 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 225 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF WILLIE PAGSUYUIN TAKEN ON MAY 12, 2004 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 224 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF WILLIE PAGSUYUIN TAKEN ON MAY 14, 2008 (Attachments: #1 Exhibit A1, #2 Exhibit A2, #3 Exhibit A3)(Simon, Dana) |
Filing 223 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF DR. MAJA MOCKENHAUPT TAKEN ON MARCH 4, 2009 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 222 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF ASHLEY A. MCEVOY TAKEN ON APRIL 1, 2009 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 221 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF KENNETH KWONG TAKEN ON DECEMBER 10, 2008 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 220 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF KENNETH KWONG TAKEN ON NOVEMBER 7, 2008 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 219 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF LAURA GESICKI-WOOD, M.D. TAKEN ON NOVEMBER 7, 2008 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 218 PAGE/LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF TIZIANA M. FOX TAKEN ON NOVEMBER 20, 2007 (Attachments: #1 Exhibit A1, #2 Exhibit A2)(Simon, Dana) |
Filing 217 PAGE & LINE DESIGNATIONS by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF ROBERT CHRISTIANSEN TAKEN ON DECEMBER 2, 2008 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 216 PAGE & LINES DR. BOUCHARD 12/8/08 by Karen Robinson, Jonathon Robinson PLAINTIFFS PAGE AND LINE DESIGNATIONS FROM THE DEPOSITION OF CHARLES BOUCHARD, M.D. TAKEN ON DECEMBER 8, 2008 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 215 PLAINTIFFS RESPONSES TO RULE 26(a)(3)(A) DISCLOSURES by Karen Robinson, Jonathon Robinson (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E1, #6 Exhibit E2, #7 Exhibit E3, #8 Exhibit F, #9 Exhibit G, #10 Exhibit H, #11 Exhibit I, #12 Exhibit J1, #13 Exhibit J2, #14 Exhibit K, #15 Exhibit L, #16 Exhibit M1, #17 Exhibit M2, #18 Exhibit N, #19 Exhibit O)(Simon, Dana) |
Filing 214 MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 07520000000003954099. (Jones, Christy) |
Filing 213 MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 07520000000003954057. (Sutherland, Kari) |
Filing 212 MINUTE entry before the Honorable James F. Holderman: Status hearing held on 7/16/2009. Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals' motion to continue trial date #206 is denied. Daubert motions will be settled on the papers. Pretrial conference date of 8/17/2009 and Jury Trial date of 8/24/2009 are to stand. Mailed notice (am) |
Filing 211 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to strike Expert Testimony of Dr. Scheffer Tseng (Sudzus, David) |
Filing 210 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to strike Expert Testimony of Dr. Evan Schlam, Randall Tackett, Ph.D. and Robert Nelson, Ph.D (Sudzus, David) |
Filing 209 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to strike Expert Testimony of Dr. Roger Salisbury (Sudzus, David) |
Filing 208 MINUTE entry before the Honorable Susan E. Cox:Settlement conference held on 7/15/09. Case did not settle. All matters relating to the referral of this action having been resolved, this case is returned to the assigned judge. Case no longer referred to the Honorable Susan E. Cox. Mailed notice (vkd, ) |
Filing 207 NOTICE of Motion by David B. Sudzus for presentment of motion to continue #206 before Honorable James F. Holderman on 7/16/2009 at 09:00 AM. (Sudzus, David) |
Filing 206 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to continue [DEFENDANTS MOTION TO CONTINUE THE TRIAL DATE] (Attachments: #1 Exhibit Exhibit A)(Sudzus, David) |
Filing 205 MINUTE entry before the Honorable James F. Holderman: Defendants Johnson & Johnson and McNeil Consumer & Specialty Pharmaceuticals motions to file briefs in excess of 15 pages [196, 199, 202] are granted. Briefing has previously been set on the parties' Daubert motions by order dated June 11, 2009 #177 . The case is set for status on July 16, 2009, at 9:00 a.m. Mailed notice (am) |
Filing 204 DECLARATION of David B. Sudzus In Support of Defendants' Motion to Exclude Expert Testimony of Dr. Evan Schlam, Randall Tackett, Ph.D and Robert Nelson, Ph.D (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J, #11 Exhibit K, #12 Exhibit L, #13 Exhibit M, #14 Exhibit N, #15 Exhibit O, #16 Exhibit P, #17 Exhibit Q, #18 Exhibit R, #19 Exhibit S, #20 Exhibit T, #21 Exhibit U)(Sudzus, David) |
Filing 203 Defendants' NOTICE of Motion by David B. Sudzus for presentment of motion for leave to file excess pages, #202 before Honorable James F. Holderman on 7/16/2009 at 09:00 AM. (Sudzus, David) |
Filing 202 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for leave to file excess pages Motion to Exclude Expert Testimony of Dr. Evan Schlam, Randall TAckett, Ph.D and Robert Nelson, Ph.D (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 201 DECLARATION of David B. Sudzus in Support of Defendants' Motion to Exclude Expert Testimony of Dr. Roger Salisbury (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J, #11 Exhibit K, #12 Exhibit L, #13 Exhibit M, #14 Exhibit N, #15 Exhibit O, #16 Exhibit P, #17 Exhibit Q)(Sudzus, David) |
Filing 200 Defendants' NOTICE of Motion by David B. Sudzus for presentment of motion for leave to file excess pages #199 before Honorable James F. Holderman on 7/16/2009 at 09:00 AM. (Sudzus, David) |
Filing 199 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for leave to file excess pages Motion to Exclude Expert Testimony of Dr. Roger Salisbury (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 198 DECLARATION of David B. Sudzus in Support of Defendants' Motion to Exclude Expert Testimony of Dr. Scheffer Tseng (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J)(Sudzus, David) |
Filing 197 Defendants' NOTICE of Motion by David B. Sudzus for presentment of motion for leave to file excess pages #196 before Honorable James F. Holderman on 7/16/2009 at 09:00 AM. (Sudzus, David) |
Filing 196 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for leave to file excess pages Motion and Incorporated Brief to Exclude Expert Testimony of Dr. Tseng (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 195 DECLARATION of David B. Sudzus in Support of Defendants' Motion for Determination, Under Rule 37(c)(1) that Plaintiffs are not Allowed to use Drs. Nelson, Salisbury, or Tackett to Supply Evidence on a Motion, at a Hearing or at Trial (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D)(Sudzus, David) |
Filing 194 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to strike under Rule 37(c)(1) that plaintiffs are not allowed to use Drs. Nelson, Salisbury, or Tackett to Supply Evidence on a Motion at a Hearing, or at Trial (Sudzus, David) |
Filing 193 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to strike the Testimony of Dr. Christine Wood That Plaintiff Karen Robinson Would Not Have Followed a Warning Regarding SJS/TEN on the Label of Children's Motrin (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E)(Simon, Dana) |
Filing 192 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to strike the Expert Testimony of Dr. Paul Waymack (Attachments: #1 Exhibit A, #2 Exhibit B)(Simon, Dana) |
Filing 191 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to strike Dr. Maja Mockenhaupt's Testimony Regarding Viral Infections as a General or Specific Cause of SJS/TEN (Attachments: #1 Exhibit A, #2 Exhibit B)(Simon, Dana) |
Filing 190 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to strike the Testimony of Dr. Robert Weinberg Regarding the Cause of Plaintiff Karen Robinson's Disease (Attachments: #1 Exhibit A, #2 Exhibit B)(Simon, Dana) |
Filing 189 MINUTE entry before the Honorable James F. Holderman: The 7/21/09 status date (referenced in Docket No. 188) is stricken and the original status date of 7/16/09 (referenced in Docket No. 143) stands. Judicial staff mailed notice (gl, ) |
Filing 188 MINUTE entry before the Honorable James F. Holderman: For the reasons set forth in the Statement section below, the defendants' motion for summary judgment #147 is granted as to the plaintiffs' claims of fraud (Count II) and battery (Count III) and denied as to punitive damages and the defendants' preemption defense. The defendants' "Motion to Strike Personal Subjective Opinions of Experts Regarding Defendants' State of Mind, Motives, and Qualitative Misconduct" #151 is denied. The court cannot determine in this pretrial setting whether the evidence sought to be excluded by the defendants' motion to strike would or would not be admissible at trial. The court will address the issue of admissibility of this evidence if offered at the trial and a timely objection thereto is made. The court notes, however, that in reaching its decision on the defendants' motion for summary judgment, the court considered only evidence the court has determined to be admissible. The case is set for a status report by counsel on July 21, 2009, at 9:00 a.m. The parties are encouraged to discuss settlement. Mailed notice (am) |
Filing 187 MINUTE entry before the Honorable James F. Holderman: For the reasons set forth in the Statement section below, the plaintiffs' motion for summary judgment on defendants' affirmative defenses regarding causation #144 is denied. (For further details see minute order). Mailed notice. (jj, ) |
Filing 186 MINUTE entry before the Honorable James F. Holderman: Plaintiffs Karen Robinson, Jonathon Robinson's motion to withdraw motion for discovery #176 is granted. Plaintiffs Karen Robinson, Jonathon Robinson's motion for discovery of Experts to be Deemed Closed #173 is withdrawn. Mailed notice (am) |
Filing 185 REPLY by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to motion to strike, #151 [DEFENDANTS' REPLY IN SUPPORT OF MOTION TO STRIKE PERSONAL SUBJECTIVE OPINIONS OF EXPERTS REGARDING DEFENDANTS' STATE OF MIND, MOTIVES, AND QUALITATIVE MISCONDUCT] (Sudzus, David) |
Filing 184 REPLY by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to statement #150 , Response, #168 [DEFENDANTS' REPLY IN SUPPORT OF LOCAL RULE 56.1 STATEMENT OF UNDISPUTED FACTS AND RESPONSE TO PLAINTIFFS' STATEMENT OF ADDITIONAL DISPUTED FACTS] (Sudzus, David) |
Filing 183 DECLARATION of DAVID B. SUDZUS regarding reply #182 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS MCNEIL CONSUMER HEALTHCARE AND JOHNSON & JOHNSON'S REPLY TO MOTION FOR SUMMARY JUDGMENT] (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 182 REPLY by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to motion for summary judgment #147 [DEFENDANTS' REPLY IN SUPPORT OF MOTION FOR SUMMARY JUDGMENT] (Sudzus, David) |
Filing 181 RESPONSE by Plaintiffs Karen Robinson, Jonathon Robinson to reply to response to motion, #178 , declaration, #179 [RESPONSE TO DEFENDANTS' OBJECTIONS TO AND MOTION TO STRIKE PLAINTIFFS' EVIDENCE IN SUPPORT OF THEIR MOTION FOR SUMMARY JUDGMENT] (Simon, Dana) |
Filing 180 REPLY by Karen Robinson, Jonathon Robinson to reply to response to motion, #178 [REPLY TO DEFENDANTS' RESPONSE TO PLAINTIFFS' LOCAL 56.1 STATEMENT OF UNDISPUTED FACTS AND DEFENDANTS' STATEMENT OF ADDITIONAL DISPUTED FACTS] (Simon, Dana) |
Filing 179 DECLARATION of Dana C. Simon regarding reply to response to motion, #178 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I)(Simon, Dana) |
Filing 178 REPLY by Karen Robinson, Jonathon Robinson to response in opposition to motion, #166 [REPLY AND OBJECTIONS TO DEFENDANT'S OPPOSITION TO PLAINTIFFS' MOTION FOR SUMMARY JUDGMENT ON DEFENDANTS' AFFIRMATIVE DEFENSES REGARDING CAUSATION] (Simon, Dana) |
Filing 177 MINUTE entry before the Honorable James F. Holderman:Motion hearing held on 6/11/2009 regarding Plaintiffs' motion to amend (171) scheduling order to include a filing date for Dauber Motions and Motions to Exclude/Strike witnesses is granted. Motion terminated. Any Dauber motion and motions to exclude/strike witnesses are to be filed on 7/10/09. Any responses to be filed by 7/31/09. Replies to be filed by 8/10/09. Judicial staff mailed notice (gl, ) |
Filing 176 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to withdraw motion for discovery #173 (Simon, Dana) |
Filing 175 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct order on motion to continue,,, order on motion for extension of time,,, terminate hearings,,, motion hearing,,, set case scheduling order,, #105 Plaintiffs' MotionMOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct order on motion to continue,,, order on motion for extension of time,,, terminate hearings,,, motion hearing,,, set case scheduling order,, #105 Plaintiffs' Motion #171 (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 174 Plaintiffs' NOTICE of Motion by Dana C. Simon for presentment of motion for discovery #173 before Honorable James F. Holderman on 6/11/2009 at 09:00 AM. (Simon, Dana) |
Filing 173 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for discovery of Experts to be Deemed Closed. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D-1, #5 Exhibit D-2, #6 Exhibit E)(Simon, Dana) |
Filing 172 Plaintiffs' NOTICE of Motion by Dana C. Simon for presentment of motion to amend/correct,, motion for relief,,,,,,,,, #171 before Honorable James F. Holderman on 6/11/2009 at 09:00 AM. (Simon, Dana) |
Filing 171 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct order on motion to continue,,, order on motion for extension of time,,, terminate hearings,,, motion hearing,,, set case scheduling order,, #105 Plaintiffs' Motion to Amend Scheduling Order (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C-1, #4 Exhibit C-2)(Simon, Dana) |
Filing 170 NOTICE OF ERRATA REGARDING EXHIBIT IN SUPPORT OF DEFENDANTS' OPPOSITION TO PLAINTIFFS' MOTION FOR SUMMAY JUDGMENT ON DEFENDANTS' AFFIRMATIVE DEFENSES RE: CAUSATION by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3)(Sudzus, David) |
Filing 169 OBJECTIONS by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for summary judgment on Defendants' Affirmative Defenses Regarding Causation and Incorporated Memorandum of Law #144 [DEFENDANTS' OBJECTIONS TO AND MOTION TO STRIKE PLAINTIFFS' EVIDENCE IN SUPPORT OF THEIR MOTION FOR SUMMARY JUDGMENT] (Sudzus, David) |
Filing 168 RESPONSE by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to Rule 56 statement #164 [DEFENDANTS' RESPONSE TO PLAINTIFFS' LOCAL RULE 56.1 STATEMENT OF "UNDISPUTED" FACTS AND DEFENDANTS' STATEMENT OF ADDITIONAL UNDISPUTED FACTS] (Sudzus, David) |
Filing 167 DECLARATION of DAVID B. SUDZUS regarding response in opposition to motion, #166 [DECLARATION OF DAVID B. SUDZUS IN SUPPORT OF DEFENDANTS MCNEIL CONSUMER HEALTHCARE AND JOHNSON & JOHNSON'S OPPOSITION TO PLAINTIFFS' MOTION FOR SUMMARY JUDGMENT ON DEFENDANTS' AFFIRMATIVE DEFENSES REGARDING CAUSATION] (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J, #11 Exhibit K, #12 Exhibit L, #13 Exhibit M, #14 Exhibit N, #15 Exhibit O, #16 Exhibit P, #17 Exhibit Q, #18 Exhibit R, #19 Exhibit S, #20 Exhibit T, #21 Exhibit U, #22 Exhibit V, #23 Exhibit W, #24 Exhibit X, #25 Exhibit Y, #26 Exhibit Z, #27 Exhibit AA, #28 Exhibit BB, #29 Exhibit CC, #30 Exhibit DD, #31 Exhibit EE, #32 Exhibit GG, #33 Exhibit HH, #34 Exhibit II)(Sudzus, David) |
Filing 166 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin Opposition to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for summary judgment on Defendants' Affirmative Defenses Regarding Causation and Incorporated Memorandum of Law #144 [DEFENDANTS' OPPOSITION TO PLAINTIFFS' MOTION FOR SUMMARY JUDGMENT ON DEFENDANTS' AFFIRMATIVE DEFENSES REGARDING CAUSATION] (Sudzus, David) |
Filing 165 MEMORANDUM by Karen Robinson, Jonathon Robinson in Opposition to motion to strike, #151 Personal Subjective Opinions of Experts (Attachments: #1 Exhibit A - Deposition of Robert Nelson, #2 Exhibit B - Deposition of Roger Salisbury)(Simon, Dana) |
Filing 164 RULE 56 56.1 Statement by Karen Robinson, Jonathon Robinson regarding motion for summary judgment #147 PLAINTIFFS RESPONSE TO DEFENDANTS LOCAL RULE 56.1 (Simon, Dana) |
Filing 163 DECLARATION of Roger E. Salisbury, M.D. regarding memorandum in opposition to motion #159 for summary judgment (Attachments: #1 Exhibit A, #2 Exhibit A-1, #3 Exhibit A-2a, #4 Exhibit A-2b, #5 Exhibit A-3, #6 Exhibit A-4, #7 Exhibit B, #8 Exhibit C)(Simon, Dana) |
Filing 162 DECLARATION of Robert C. Nelson, Ph.D. regarding memorandum in opposition to motion #159 for summary judgment (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3, #4 Exhibit 4a, #5 Exhibit 4b, #6 Exhibit 5, #7 Exhibit 6, #8 Exhibit 7, #9 Exhibit 8)(Simon, Dana) |
Filing 161 DECLARATION of Dr. Randall Tackett regarding memorandum in opposition to motion #159 for summary judgment. (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3, #4 Exhibit 4, #5 Exhibit 5, #6 Exhibit 6, #7 Exhibit 7, #8 Exhibit 8, #9 Exhibit 9a-1, #10 Exhibit 9a-2, #11 Exhibit 9a-3, #12 Exhibit 9a-4, #13 Exhibit 9b, #14 Exhibit 9c, #15 Exhibit 9d, #16 Exhibit 10, #17 Exhibit 11, #18 Exhibit 12, #19 Exhibit 13, #20 Exhibit 14, #21 Exhibit 15, #22 Exhibit 16, #23 Exhibit 17, #24 Exhibit 18 (SEAL), #25 Exhibit 19 (SEAL), #26 Exhibit 20 (SEAL), #27 Exhibit 21 (SEAL), #28 Exhibit 22 (SEAL), #29 Exhibit 23 (SEAL), #30 Exhibit 24, #31 Exhibit 25, #32 Exhibit 26 (SEAL), #33 Exhibit 27 (SEAL), #34 Exhibit 28 (SEAL), #35 Exhibit 29 (SEAL), #36 Exhibit 30, #37 Exhibit 31a-1, #38 Exhibit 31a-2, #39 Exhibit 31b, #40 Exhibit 32, #41 Exhibit 33, #42 Exhibit 34, #43 Exhibit 35, #44 Exhibit 36, #45 Exhibit 37, #46 Exhibit 38 (SEAL), #47 Exhibit 39, #48 Exhibit 40)(Simon, Dana) |
Filing 160 DECLARATION of Dana Simon regarding memorandum in opposition to motion #159 for summary judgment. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E (SEALED), #6 Exhibit F, #7 Exhibit G (SEALED), #8 Exhibit H (SEALED), #9 Exhibit I (SEALED), #10 Exhibit J, #11 Exhibit K (SEALED), #12 Exhibit L, #13 Exhibit M (SEALED), #14 Exhibit N, #15 Exhibit O, #16 Exhibit P-1, #17 Exhibit P-2, #18 Exhibit Q (SEALED), #19 Exhibit R (SEALED), #20 Exhibit S (SEALED), #21 Exhibit T, #22 Exhibit U, #23 Exhibit V (SEALED), #24 Exhibit W, #25 Exhibit X, #26 Exhibit Y, #27 Exhibit Z, #28 Exhibit AA, #29 Exhibit BB, #30 Exhibit CC)(Simon, Dana) |
Filing 159 MEMORANDUM by Karen Robinson, Jonathon Robinson in Opposition to motion for summary judgment #147 (Simon, Dana) |
Filing 158 MINUTE entry before the Honorable James F. Holderman: DEFENDANTS' MOTION FOR LEAVE TO AMEND ANSWER TO SECOND AMENDED COMPLAINT TO WITHDRAW AFFIRMATIVE DEFENSES AND INCORPORATED MEMORANDUM OF LAW #153 is denied. On motions for summary judgment #144 #147 , responses due by 6/1/2009; replies due by 6/19/2009. Mailed notice (am) |
Filing 157 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin Support of MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for leave to file [DEFENDANTS' MOTION FOR LEAVE TO AMEND ANSWER TO SECOND AMENDED COMPLAINT TO WITHDRAW AFFIRMATIVE DEFENSES AND INCORPORATED MEMORANDUM OF LAW][DEFENDANTS' MOTION FOR LEAVE TO AMEND ANSWER TO SECOND AMENDED COMPLAINT TO WITHDRAW AFFIRMATIVE DEFENSES AND INCORPORATED MEMORANDUM OF LAW]& #153 (Sudzus, David) |
Filing 156 MEMORANDUM by Karen Robinson, Jonathon Robinson in Opposition to motion for leave to file, #153 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D)(Simon, Dana) |
Filing 155 AMENDED NOTICE of Motion by David B. Sudzus for presentment of motion for leave to file, #153 before Honorable James F. Holderman on 5/26/2009 at 09:00 AM. (Sudzus, David) |
Filing 154 NOTICE of Motion by David B. Sudzus for presentment of motion for leave to file, #153 before Honorable James F. Holderman on 5/21/2009 at 09:00 AM. (Sudzus, David) |
Filing 153 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for leave to file [DEFENDANTS' MOTION FOR LEAVE TO AMEND ANSWER TO SECOND AMENDED COMPLAINT TO WITHDRAW AFFIRMATIVE DEFENSES AND INCORPORATED MEMORANDUM OF LAW] (Attachments: #1 Exhibit A, #2 Exhibit B)(Sudzus, David) |
Filing 152 DECLARATION of DAVID B. SUDZUS regarding motion to strike, #151 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C - PART 1, #4 Exhibit C - PART 2, #5 Exhibit D, #6 Exhibit E)(Sudzus, David) |
Filing 151 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to strike [MOTION TO STRIKE PERSONAL SUBJECTIVE OPINIONS OF EXPERTS REGARDING DEFENDANTS' STATE OF MIND, MOTIVES, AND QUALITATIVE MISCONDUCT] (Sudzus, David) |
Filing 150 LOCAL RULE 56.1 STATEMENT by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals OF UNDISPUTED FACTS (Sudzus, David) |
Filing 149 DECLARATION of ANTHONY R. TEMPLE regarding motion for summary judgment #147 (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3, #4 Exhibit 4, #5 Exhibit 5, #6 Exhibit 6, #7 Exhibit 7, #8 Exhibit 8, #9 Exhibit 9, #10 Exhibit 10, #11 Exhibit 11, #12 Exhibit 12, #13 Exhibit 13, #14 Exhibit 14)(Sudzus, David) |
Filing 148 DECLARATION of DAVID B. SUDZUS regarding motion for summary judgment #147 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Errata G, #8 Exhibit H - PART 1, #9 Exhibit H - PART 2, #10 Exhibit I, #11 Exhibit J, #12 Exhibit K, #13 Exhibit L, #14 Exhibit M, #15 Exhibit N)(Sudzus, David) |
Filing 147 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for summary judgment [MOTION FOR SUMMARY JUDGMENT AND INCORPORATED MEMORANDUM OF LAW] (Sudzus, David) |
Filing 146 DECLARATION of Dana Simon regarding motion for summary judgment #144 , Rule 56 statement #145 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J, #11 Exhibit K, #12 Exhibit L, #13 Exhibit M, #14 Exhibit N, #15 Exhibit O, #16 Exhibit P)(Simon, Dana) |
Filing 145 RULE 56.1 Statement by Karen Robinson, Jonathon Robinson regarding motion for summary judgment #144 (Simon, Dana) |
Filing 144 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for summary judgment on Defendants' Affirmative Defenses Regarding Causation and Incorporated Memorandum of Law (Simon, Dana) |
Filing 142 TRANSCRIPT OF PROCEEDINGS held on 03/03/09 before the Honorable James F. Holderman. Court Reporter Contact Information: Colleen Conway @ 312/435-5594 or colleen_conway@ilnd.uscourts.gov. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through the Court Reporter/Transcriber or PACER. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redaction Request due 5/20/2009. Redacted Transcript Deadline set for 6/1/2009. Release of Transcript Restriction set for 7/28/2009. (Conway, Colleen) |
Filing 143 MINUTE entry before the Honorable James F. Holderman: Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals' motion to continue the Trial Date to September 14, 2009 #136 is denied. Defendants are given leave to file brief in support of motion for summary judgment up to 25 pages; plaintiffs are given leave to file response brief up to 25 pages. Status hearing set for 7/16/2009 at 9:00 AM. Parties are encouraged to discuss settlement. Mailed notice (am) |
Filing 141 MINUTE entry before the Honorable James F. Holderman: Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals' motion for leave to file a brief in excess of 15 Pages #139 is withdrawn. Mailed notice (am) |
Filing 140 NOTICE of Motion by David B. Sudzus for presentment of motion for leave to file excess pages #139 before Honorable James F. Holderman on 4/28/2009 at 09:00 AM. (Sudzus, David) |
Filing 139 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for leave to file excess pages [Motion for Leave to File a Brief In Excess of 15 Pages] (Sudzus, David) |
Filing 138 RESPONSE by Karen Robinson, Jonathon Robinsonin Opposition to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to continue the Trial Date to September 14, 2009 #136 (Simon, Dana) |
Filing 137 NOTICE of Motion by David B. Sudzus for presentment of motion to continue #136 before Honorable James F. Holderman on 4/28/2009 at 09:00 AM. (Sudzus, David) |
Filing 136 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to continue the Trial Date to September 14, 2009 (Sudzus, David) |
Filing 135 MINUTE entry before the Honorable Susan E. Cox: Defendants unopposed motion to reschedule settlement conference (133) is granted. Settlement conference set for 6/10/09 at 1:30 p.m. is stricken. Settlement conference set for 7/15/09 at 1:30 p.m. Parties need not appear for presentment of motion on 4/16/09 at 9:30 a.m. Parties are to review and to comply with this Court's Standing Order Setting Settlement Conference which is available through the Court's web page or chambers. Plaintiffs' counsel will submit a written itemization of damages and settlement demand to defendants' counsel by 7/1/09 with a courtesy copy sent to the Court. Defendants' counsel shall submit a written offer to plaintiffs' counsel and the Court by 7/8/09. Plaintiffs' counsel shall deliver or fax copies of these letters to Judge Cox's chambers no later than 7/10/09. Mailed notice (vkd, ) |
Filing 134 NOTICE of Motion by David B. Sudzus for presentment of motion for miscellaneous relief #133 before Honorable Susan E. Cox on 4/16/2009 at 09:30 AM. (Sudzus, David) |
Filing 133 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty PharmaceuticalsUNOPPOSED MOTION TO RESCHEDULE SETTLEMENT CONFERENCE (Sudzus, David) |
Filing 132 MINUTE entry before the Honorable James F. Holderman:For the reasons set forth in the Statement section below, the defendants' motion for summary judgment #106 is denied. Motion terminated. The dates previously set in the January 15, 2009 scheduling order #105 remain in effect except as modified by the March 3, 2009 scheduling order #128 . The parties are encouraged to discuss settlement. If the case is not otherwise resolved, the trial will proceed on August 24, 2009, at 9:00 a.m.Judicial staff mailed notice (gl, ) |
Filing 131 MINUTE entry before the Honorable Susan E. Cox: Settlement Conference set for 6/10/09 at 1:30 p.m. Mailed notice (vkd, ) |
Filing 130 REPLY by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to Response #127 , Rule 56 statement #108 [Defendants' Reply in Support of its Local Rule 56.1 Statement of Undisputed Facts and Response to Plaintiffs' Statement of Additional Disputed Facts] (Sudzus, David) |
Filing 129 REPLY by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to motion for summary judgment #106 (Sudzus, David) |
Filing 128 MINUTE entry before the Honorable James F. Holderman: Plaintiffs' motion for extension of time to extend deadline to comply with Rule 26(a)(2)(C)(ii) #121 is granted. Plaintiff shall comply with FRCP(26)(a)(2) by 4/30/2009. Defendant shall comply with FRCP(26)(a)(2) by 5/29/2009. All other dates remain in effect. Mailed notice (am) |
Filing 127 RESPONSE by Plaintiffs Karen Robinson, Jonathon Robinson to Rule 56 statement #108 of "Undisputed" Facts and Plaintiffs' Statement of Additional Disputed Facts. (Simon, Dana) |
Filing 126 DECLARATION of Dana Simon regarding memorandum in opposition to motion #125 (Plaintiffs' Response to Defendants' Motion for Summary Judgment) (Attachments: #1 Exhibit A, #2 Exhibit A-1, #3 Exhibit A-2, #4 Exhibit B, #5 Exhibit C, #6 Exhibit D, #7 Exhibit E, #8 Exhibit F, #9 Exhibit G, #10 Exhibit H, #11 Exhibit I)(Simon, Dana) |
Filing 125 MEMORANDUM by Karen Robinson, Jonathon Robinson in Opposition to motion for summary judgment #106 filed by Defendants McNeil Consumer Healthcare and Johnson & Johnson (Simon, Dana) |
Filing 124 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin Opposition to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for extension of time to extend deadline to comply with Rule 26(a)(2)(C)(ii) #121 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C)(Sudzus, David) |
Filing 123 MINUTE entry before the Honorable Susan E. Cox: Plaintiffs' motion to withdraw motions to quash the subpoena duces tecums attached to the deposition notices (120) is granted. Plaintiffs' motions to quash subpoena duces tecum attached to First Amended Deposition Notice of Dr. Roger Salisbury and motion for protective order (115), Plaintiffs' motion to quash the subpoena duces tecum attached to Amended notice of Dr. Evan Schlam and for protective order (116), Plaintiffs' motion to quash the subpoena duces tecum attached to defendants' third amended deposition notice of Dr. Lori Hinton and for protective order (117) and Plaintiffs' motion to quash the subpoena duces tecum attached to Defendants' second amended deposition notice of Dr. Robert Nelson and for protective order (118) are withdrawn. Motion hearings for said motions set for 2/26/09 at 9:30 a.m. are stricken. Parties need not appear for motion hearings on 2/26/09 at 9:30 a.m. Mailed notice (vkd, ) |
Filing 122 Plaintiffs' NOTICE of Motion by Dana C. Simon for presentment of extension of time #121 before Honorable James F. Holderman on 3/3/2009 at 09:00 AM. (Simon, Dana) |
Filing 121 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for extension of time to extend deadline to comply with Rule 26(a)(2)(C)(ii) (Attachments: #1 Exhibit A, #2 Exhibit B)(Simon, Dana) |
Filing 120 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to withdraw motion to quash, motion for protective order,, #116 , motion to quash, motion for protective order,, #117 , motion to quash #115 , motion to quash, motion for protective order,, #118 (Simon, Dana) |
Filing 119 MINUTE entry before the Honorable Susan E. Cox: Hearing on Plaintiffs' motion to quash subpoena duces tecum attached to First Amended Deposition Notice of Dr. Roger Salisbury and motion for protective order (115), Plaintiffs' motion to quash the subpoena duces tecum attached to Amended notice of Dr. Evan Schlam and for protective order (116), Plaintiffs' motion to quash the subpoena duces tecum attached to defendants' third amended deposition notice of Dr. Lori Hinton and for protective order (117) and Plaintiffs' motion to quash the subpoena duces tecum attached to Defendants' second amended deposition notice of Dr. Robert Nelson and for protective order (118) set for 2/26/09 at 9:30 a.m. Mailed notice (vkd, ) |
Filing 118 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to quash the Subpoena Duces Tecum attached to Defendants' Second Amended Deposition Notice of Dr. Robert Nelson, MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for protective order (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 117 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to quash the Subpoena Duces Tecum attached to Defendants' Third Amended Deposition Notice of Dr. Lori Hinton, MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for protective order (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 116 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to quash the Subpoena Duces Tecum attached to Amended Deposition Notice of Dr. Evan Schlam, MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for protective order (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 115 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to quash the Subpoena Duces Tecum attached to First Amended Deposition Notice of Dr. Roger Salisbury and Motion for Protective Order (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 114 MINUTE entry before the Honorable James F. Holderman: Attorney Jay E. Stuemke's motion for leave to appear pro hac vice #88 is granted. On defendants' motion for summary judgment #106 , responses due by 3/2/2009; replies due by 3/16/2009. The Court to rule electronically and will set further dates at the time of ruling. Parties are to proceed with discovery on the other counts. Mailed notice (am) |
Filing 113 MINUTE entry before the Honorable Susan E. Cox: Motion hearing held. Plaintiffs' motion to compel documents from defendants (110) is granted in part and denied in part. Documents regarding defendants' expert to be produced to plaintiffs by 2/16/09. Parties are to prepare settlement correspondence as outlined in open court. Settlement conference date of 3/10/09 at 1:30 p.m. to stand. Mailed notice (vkd, ) |
Filing 112 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin Opposition to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel documents from Defendants. #110 (Attachments: #1 Declaration)(Sudzus, David) |
Filing 111 Plaintiffs' NOTICE of Motion by Dana C. Simon for presentment of motion to compel #110 before Honorable Susan E. Cox on 2/10/2009 at 09:30 AM. (Simon, Dana) |
Filing 110 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel documents from Defendants. (Attachments: #1 Exhibit A, #2 Exhibit B)(Simon, Dana) |
Filing 109 NOTICE of Motion by David B. Sudzus for presentment of motion for summary judgment #106 before Honorable James F. Holderman on 2/10/2009 at 09:00 AM. (Sudzus, David) |
Filing 108 RULE 56.1 Statement by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals regarding motion for summary judgment #106 (Sudzus, David) |
Filing 107 DECLARATION of David B. Sudzus regarding motion for summary judgment #106 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F)(Sudzus, David) |
Filing 106 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for summary judgment and Incorporated Memorandum of Law (Sudzus, David) |
Filing 105 MINUTE entry before the Honorable James F. Holderman: Defendants' motion to continue Trial Thirty (30) Days #92 is granted. Defendants' motion for extension of time to comply with Rule 26(a)(2) #97 is granted. Expert discovery ordered closed by 3/27/2009. Dispositive motions with supporting memoranda due by 5/6/2009; responses due by 5/27/2009. Replies due by 6/19/2009. Final Pretrial Order due by 7/31/2009. Motions in limine with supporting memoranda due by 7/31/2009; responses due by 8/10/2009. Final Pretrial Conference set for 8/17/2009 at 4:00 PM. Jury Trial set for 8/24/2009 at 9:00 AM. Mailed notice (am) |
Filing 104 MINUTE entry before the Honorable Susan E. Cox: Motion hearing held. Defendants' Motion to Amend Privilege Log and for Protective Order (101) is granted. Documents identified as numbers 56 and 70 of Defendants' Privilege Log are to be removed as outlined in open court. Mailed notice (vkd, ) |
Filing 103 NOTICE of Motion by David B. Sudzus for presentment of motion to amend/correct #101 before Honorable Susan E. Cox on 1/15/2009 at 09:30 AM. (Sudzus, David) |
Filing 102 DECLARATION regarding motion to amend/correct #101 of David B. Sudzus In Support of Defendants' Motion to Amend Privilege Log and For Protective Order (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G)(Sudzus, David) |
Filing 101 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to amend/correct Privilege Log and For Protective Order (Sudzus, David) |
Filing 100 REPLY by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals In Support of Its Motion to Extend the Deadline to Disclose Independent Experts (Sudzus, David) |
Filing 99 RESPONSE by Karen Robinson, Jonathon Robinsonin Opposition to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for extension of time to comply with Rule 26(a)(2) #97 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 98 NOTICE of Motion by Russell Jason Chibe for presentment of extension of time #97 before Honorable James F. Holderman on 1/15/2009 at 09:00 AM. (Chibe, Russell) |
Filing 97 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for extension of time to comply with Rule 26(a)(2) (Chibe, Russell) |
Filing 96 MINUTE entry before the Honorable Susan E. Cox: Status hearing held on 12/18/08. Settlement conference set for 3/10/09 at 1:30 p.m. The parties were advised to review and to comply with this Court's Standing Order Setting Settlement Conference. Copies are available in chambers or through Judge Cox's web page at www.ilnd.uscourts.gov. The date for the settlement conference will not be changed without the granting of a motion. Mailed notice (vkd, ) |
Filing 95 RE - NOTICE of Motion by David B. Sudzus for presentment of motion to continue #92 before Honorable James F. Holderman on 1/15/2009 at 09:00 AM. (Sudzus, David) |
Filing 94 NOTICE of Motion by David B. Sudzus for presentment of motion to continue #92 before Honorable James F. Holderman on 12/23/2008 at 09:00 AM. (Sudzus, David) |
Filing 93 CERTIFICATE of Conference In Support of Defendants' Motion to Continue Trial Thirty (30) Days (Chibe, Russell) |
Filing 92 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to continue Trial Thirty (30) Days (Attachments: #1 Text of Proposed Order Proposed Order Continuing Trial)(Chibe, Russell) |
Filing 91 MINUTE entry before the Honorable Susan E. Cox: Enter order nunc pro tunc 11/12/08: Ruling on document submitted for in camera inspection as related to Plaintiffs' motion to compel production of documents #74 is as follows: The vast majority of the letter submitted is irrelevant to this case. However, one full paragraph, a portion of the entire document, as described in open court is to be redacted and produced. Parties advised the Court of the status of discovery. At the next scheduled status hearing, the parties are to come prepared to choose a date for a settlement conference. The parties are advised to review this Court's Standing Order Setting Settlement Conference which was revised October, 2008. Copies are available in chambers or through this Court's web page at www.ilnd.uscourts.gov. Mailed notice (vkd, ) |
Filing 90 MINUTE entry before the Honorable Susan E. Cox: Status hearing held. Status hearing set for 12/18/08 at 9:30 a.m. Mailed notice (vkd, ) |
Filing 89 MINUTE entry before the Honorable Susan E. Cox: Status hearing set for 11/12/08 at 9:30 a.m. Mailed notice (vkd, ) |
Filing 88 MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 07520000000003223924. Stuemke, Jay E. (Ocasek, James) |
Filing 87 MINUTE entry before the Honorable James F. Holderman: Status hearing held on 10/9/2008. On oral request Fact Discovery ordered extended until 12/10/2008. All other dates set in the court's 4/24/2008 scheduling order remain in effect. Mailed notice (am) |
Filing 86 MINUTE entry before the Honorable Susan E. Cox: Status hearing held. Motion hearing held. Plaintiffs' motion to compel production of documents #74 is granted in part: the Court agrees to an in camera inspection of the settlement document at issue to determine relevance; defendants are given until 10/22/08 to provide a complete privilege log to plaintiffs detailing any privilege that they are asserting and facts to support application of the privilege, including information on why certain employees are in the control group. Defendants are also directed to explain the applicability of any work product privilege they are asserting. Plaintiffs' amended motion to compel deposition testimony #76 is granted in that plaintiffs are allowed to take 10 of the 19 depositions requested. Pursuant to Rule 30(a)(2), any additional depositions must be approved by the Court by motion. Plaintiffs' motion to compel responsive discovery and documents #78 is granted in part and denied in part. Plaintiffs' request to order defendants to supplement their answer to interrogatory no. 7 is denied. Pursuant to the representations made by defendants in court they have already produced any information they have relevant to that request. Plaintiffs' request to order defendants to provide responsive documents to requests for production nos. 28 and 32 is granted; any documents that reflect remuneration must be turned over to plaintiffs. Motion by Defendants for protective order #82 is denied for the reasons stated in open court. Parties need not appear on 10/14/08 at 9:30 a.m for presentment of said motion. Mailed notice (vkd, ) |
Filing 85 RESPONSE by Karen Robinson, Jonathon Robinson to MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for protective order #82 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E)(Simon, Dana) |
Filing 84 NOTICE of Motion by David B. Sudzus for presentment of motion for protective order #82 before Honorable Susan E. Cox on 10/14/2008 at 09:30 AM. (Sudzus, David) |
Filing 83 MEMORANDUM by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals in support of motion for protective order #82 (Sudzus, David) |
Filing 82 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for protective order (Sudzus, David) |
Filing 80 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin Opposition to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel Production of documents and Incorporated Memorandum of Law #74 (Attachments: #1 Declaration Kenneth P. Conour, #2 Exhibit A)(Sudzus, David) |
Filing 79 Plaintiffs' NOTICE of Motion by Dana C. Simon for presentment of motion to compel, #78 before Honorable Susan E. Cox on 10/8/2008 at 09:30 AM. (Simon, Dana) |
Filing 78 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel Responsive Discovery and Documents From Defendants McNeil Consumer Healthcare, a Division of McNeil-PPC, Inc. and Johnson & Johnson (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F)(Simon, Dana) |
Filing 77 Plaintiffs' NOTICE of Motion by Dana C. Simon for presentment of motion to compel, #76 before Honorable Susan E. Cox on 10/8/2008 at 09:30 AM. (Simon, Dana) |
Filing 76 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel Deposition Testimony From Defendants McNeil Consumer Healthcare, a Division of McNeil-PPC, Inc. and Johnson & Johnson (AMENDED) (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E)(Simon, Dana) |
Filing 81 MINUTE entry before the Honorable James F. Holderman: Status hearing is reset for 10/9/2008 at 9:00 AM. Mailed notice (am) |
Filing 75 Plaintiffs' NOTICE of Motion by Dana C. Simon for presentment of motion to compel #74 before Honorable Susan E. Cox on 10/8/2008 at 09:30 AM. (Simon, Dana) |
Filing 74 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel Production of documents and Incorporated Memorandum of Law (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 73 ANSWER to amended complaint by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals(Sudzus, David) |
Filing 72 MINUTE entry before the Honorable James F. Holderman:Status hearing date of 10/2/2008 is reset for 10/9/2008 at 9:00 AM. Mailed notice (am) |
Filing 71 Plaintiffs' Second AMENDED complaint by Karen Robinson, Jonathon Robinson against Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals (Simon, Dana) |
Filing 70 MINUTE entry before the Honorable James F. Holderman: Plaintiffs' unopposed motion for leave to file Plaintiffs' Second Amended Complaint #67 is granted; defendants are given until 9/25/2008 to answer or otherwise plead to the second amended complaint. Status hearing set for 10/2/2008 at 9:00 AM. Mailed notice (am) |
Filing 68 NOTICE of Motion by Dana C. Simon for presentment of motion for leave to file #67 before Honorable James F. Holderman on 9/11/2008 at 09:00 AM. (Simon, Dana) |
Filing 67 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for leave to file Plaintiffs' Second Amended Complaint (UNOPPOSED) (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 69 MINUTE entry before the Honorable James F. Holderman: Plaintiffs' amended unopposed motion to extend fact discovery deadline time #56 #57 is granted; plaintiff is given until 9/30/2008 to comply with FRCP(26)(a)(2). Fact Discovery ordered extended until 11/18/2008. All other dates previously set in the Court's scheduling order dated April 24, 2008 shall remain in effect. Leave is given to Clay B. Carroll and Christopher J. Panatier to appear pro hac vice on behalf of Karen and Jonathan Robinson #59 #60 . Mailed notice (am) |
Filing 66 MINUTE entry before the Honorable Susan E. Cox: Status hearing held 9/3/08. Plaintiffs' motion to compel #61 is denied without prejudice as premature. Motion for protective order by defendants Johnson & Johnson and McNeil Consumer & Specialty Pharmaceuticals #64 is denied without prejudice for the reasons stated in open court. Plaintiffs' counsel is given leave to depose four witnesses identified in open court. Plaintiffs' counsel is to review the transcripts of previously deposed witnesses before the next scheduled court date to determine whether depositions are necessary. Status hearing set for 10/8/08 at 9:30 a.m. Mailed notice (vkd, ) |
Filing 65 MEMORANDUM in Support of Motion for Protective Order (Sudzus, David) |
Filing 64 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for protective order (Sudzus, David) |
Filing 63 MEMORANDUM by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals in Opposition to motion to compel, #61 (Attachments: #1 Exhibit 1, #2 Exhibit 2)(Sudzus, David) |
Filing 62 Plaintiffs' NOTICE of Motion by Dana C. Simon for presentment of motion to compel, #61 before Honorable Susan E. Cox on 9/3/2008 at 09:30 AM. (Simon, Dana) |
Filing 61 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel Deposition Testimony From Defendants McNeil Consumer Healthcare, a Division of McNeil-PPC, Inc. and Johnson & Johnson (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D)(Simon, Dana) |
Filing 60 APPLICATION for Leave to Appear Pro Hac Vice. Receipt no. 4624007441. Filing fee $ 50. (ep, ) |
Filing 59 APPLICATION for Leave to Appear Pro Hac Vice. Receipt No. 4624007441. Filing fee $ 50. (ep, ) |
Filing 58 NOTICE of Motion by Dana C. Simon for presentment of motion to amend/correct, motion for relief #57 before Honorable James F. Holderman on 9/4/2008 at 09:00 AM. (Simon, Dana) |
Filing 57 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for extension of time (UNOPPOSED) to Extend Fact Discovery Deadline #56 (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 56 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for extension of time (UNOPPOSED) to Extend Fact Discovery Deadline (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 55 MINUTE entry before the Honorable Susan E. Cox: This Court's order dated 7/29/08, Document # 54 is amended as follows: "Amended discovery responses due on or before 8/19/08. Defendants to submit revised responses to plaintiffs' request for admissions to the Court and counsel by 8/19/08." Status hearing date of 9/3/08 at 9:30 a.m. to stand. Mailed notice (vkd, ) |
Filing 54 MINUTE entry before the Honorable Susan E. Cox: Motion hearing held. Plaintiffs' motion to compel #46 is granted in part and denied in part as outlined in open court. Amended discovery responses due on or before 8/14/08. Defendants to submit revised responses to plaintiffs' request for admissions to the Court and counsel by 8/12/08. Status hearing set for 9/3/08 at 9:30 a.m. Mailed notice (vkd, ) |
Filing 53 RESPONSE by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticalsin Opposition to MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel Responsive Discovery and Documents From Defendants McNeil Consumer Healthcare, a Division of McNeil-PPC, Inc. and Johnson & Johnson #46 , MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel Responsive Discovery and Documents From Defendants McNeil Consumer Healthcare, a Division of McNeil-PPC, Inc. and #51 (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3, #4 Exhibit 4, #5 Exhibit 5, #6 Exhibit 6, #7 Exhibit 7, #8 Exhibit 8, #9 Exhibit 9, #10 Exhibit 10)(Sudzus, David) |
Filing 52 Plaintiff's NOTICE of Motion by Dana C. Simon for presentment of motion to amend/correct,,, motion for relief,, #51 before Honorable Susan E. Cox on 7/29/2008 at 09:30 AM. (Simon, Dana) |
Filing 51 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to amend/correct MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel Responsive Discovery and Documents From Defendants McNeil Consumer Healthcare, a Division of McNeil-PPC, Inc. and Johnson & Johnson #46 (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J, #11 Exhibit K, #12 Exhibit L, #13 Exhibit M)(Simon, Dana) |
Filing 50 ANSWER to amended complaint by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals(Sudzus, David) |
Filing 49 MINUTE entry before the Honorable Susan E. Cox: On the Court's own motion, hearing on Plaintiffs' motion to compel #46 is reset to 7/29/08 at 9:30 a.m. Defendants are given until 7/23/08 to file a written response if they so choose. Defendants are given leave to file their motion to compel by 7/16/08. Plaintiffs to respond in writing by 7/23/08. Status hearing set for 7/28/08 at 9:30 a.m. is stricken. Status hearing and ruling set for 7/29/08 at 9:30 a.m. Mailed notice (vkd, ) |
Filing 48 Plaintiff's Amended NOTICE of Motion by Dana C. Simon for presentment of motion to compel, #46 before Honorable Susan E. Cox on 7/28/2008 at 09:30 AM. (Simon, Dana) |
Filing 47 Plaintiff's NOTICE of Motion by Dana C. Simon for presentment of motion to compel, #46 before Honorable Susan E. Cox on 7/24/2008 at 09:30 AM. (Simon, Dana) |
Filing 46 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson to compel Responsive Discovery and Documents From Defendants McNeil Consumer Healthcare, a Division of McNeil-PPC, Inc. and Johnson & Johnson (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E)(Simon, Dana) |
Filing 45 CONFIDENTIALITY STIPULATION and Order Signed by the Honorable Susan E. Cox on 7/1/08.(vkd, ) |
Filing 44 MINUTE entry before the Honorable Susan E. Cox: Defendants' unopposed motion for protective order #38 is granted. Parties need not appear for presentment of motion on 7/1/08 at 9:30 a.m. Enter Confidentiality Stipulation and Order. Mailed notice (vkd, ) |
Filing 43 MINUTE entry before the Honorable James F. Holderman: Plaintiffs Karen Robinson, Jonathon Robinson's unopposed motion for leave to file Plaintiffs First Amended Complaint #37 is granted. Mailed notice (am) |
Filing 42 First AMENDED complaint by Karen Robinson, Jonathon Robinson against all defendants correctly naming Defendant McNeil Consumer Healthcare, a division of McNeil-PPC, Inc. (Simon, Dana) |
Filing 41 NOTICE of Motion by James E. Ocasek for presentment of motion for leave to file #37 before Honorable James F. Holderman on 7/1/2008 at 09:00 AM. (Ocasek, James) |
Filing 40 NOTICE of Motion by James E. Ocasek for presentment of motion for leave to file #37 before Honorable Susan E. Cox on 7/1/2008 at 09:30 AM. (Ocasek, James) |
Filing 39 NOTICE of Motion by David B. Sudzus for presentment of motion for protective order #38 before Honorable Susan E. Cox on 7/1/2008 at 09:30 AM. (Sudzus, David) |
Filing 38 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for protective order Unopposed (Attachments: #1 Exhibit A)(Sudzus, David) |
Filing 37 MOTION by Plaintiffs Karen Robinson, Jonathon Robinson for leave to file Unopposed Plaintiffs First Amended Complaint (Attachments: #1 Exhibit A)(Simon, Dana) |
Filing 36 MINUTE entry before the Honorable Susan E. Cox: Motion hearing held. Plaintiff's counsel only appears. Defendants' motion for protective order #32 is denied. Status hearing date of 7/28/08 at 9:30 a.m. to stand. Mailed notice (vkd, ) |
Filing 35 NOTICE of Motion by David B. Sudzus for presentment of motion for protective order #32 before Honorable Susan E. Cox on 6/17/2008 at 09:30 AM. (Sudzus, David) (Modified on 6/13/2008 by Clerk's Office). |
Filing 34 EXHIBIT by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals regarding MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for protective order #32 (Sudzus, David) |
Filing 33 EXHIBIT by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals regarding MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for protective order #32 (Sudzus, David) |
Filing 32 MOTION by Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals for protective order (Sudzus, David) |
Filing 31 MINUTE entry before Judge Honorable James F. Holderman: Defendants' motion to amend scheduling order #26 #27 is granted. Plaintiff shall comply with FRCP(26)(a)(2) by 9/30/2008; the deadline for deposing plaintiffs' experts is 1/30/2009. Defendant shall comply with FRCP(26)(a)(2) by 12/21/2008; the deadline for deposing defendants' experts is 2/27/2009. Fact discovery ordered closed by 8/30/2008. Expert discovery ordered closed by 2/27/2009. Parties are to meet with Magistrate Judge Cox for settlement conference in early March, 2009. Dispositive motions with supporting memoranda due by 4/6/2009; responses due by 4/27/2009. Replies due by 5/18/2009. Motions in limine with supporting memoranda due by 6/30/2009; responses due by 7/8/2009. Final Pretrial Order due by 6/30/2009. Final Pretrial Conference set for 7/17/2009 at 3:00 PM. Jury Trial set for 7/20/2009 at 9:00 AM. Mailed notice (am) |
Filing 30 REPLY by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals to response in opposition to motion, #29 , MOTION by Defendant Johnson & Johnson to amend/correct MOTION by Defendant Johnson & Johnson to amend/correct #26 Notice of Motion to Amend #27 , MOTION by Defendant Johnson & Johnson to amend/correct #26 (Sudzus, David) |
Filing 29 RESPONSE by Karen Robinson, Jonathon Robinsonin Opposition to MOTION by Defendant Johnson & Johnson to amend/correct MOTION by Defendant Johnson & Johnson to amend/correct #26 Notice of Motion to Amend #27 , MOTION by Defendant Johnson & Johnson to amend/correct #26 (Simon, Dana) |
Filing 28 RE- NOTICE of Motion by David B. Sudzus for presentment of motion to amend/correct #26 before Honorable James F. Holderman on 4/24/2008 at 09:00 AM. (Sudzus, David) |
Filing 27 MOTION by Defendant Johnson & Johnson to amend/correct MOTION by Defendant Johnson & Johnson to amend/correct #26 Notice of Motion to Amend (Sudzus, David) |
Filing 26 MOTION by Defendant Johnson & Johnson to amend/correct (Sudzus, David) |
Filing 25 MINUTE entry before the Honorable Susan E. Cox: Status hearing held. Status hearing set for 7/28/08 at 9:30 a.m. to report on status of discovery. Mailed notice (vkd, ) |
Filing 24 APPLICATION for Leave to Appear Pro Hac Vice on behalf of Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals by Vernon Ivan Zvoleff; Order entered granting leave by Judge James F. Holderman. Filing fee $ 50 paid, receipt number 10726912. (gej, ) |
Filing 23 APPLICATION for Leave to Appear Pro Hac Vice on behalf of Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals by Thomas W. Pulliam, Jr; Order entered granting leave by Judge James F. Holderman. Filing fee $ 50 paid, receipt number 10726912. (gej, ) |
Filing 22 APPLICATION for Leave to Appear Pro Hac Vice on behalf of Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals by Benjamin J. Holl; Order entered granting leave by Judge James F. Holderman. Filing fee $ 50 paid, receipt number 10726912. (gej, ) |
Filing 21 APPLICATION for Leave to Appear Pro Hac Vice on behalf of Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals by Kenneth P. Conour; Order entered granting leave by Judge James F. Holderman. Filing fee $ 50 paid, receipt number 10726912. (gej, ) |
Filing 20 APPLICATION for Leave to Appear Pro Hac Vice on behalf of Karen Robinson, Jonathon Robinson by Dana C. Simon; Order entered granting leave by Judge James F. Holderman. Filing fee $ 50 paid, receipt number 10726627. (gej, ) |
Filing 19 APPLICATION for Leave to Appear Pro Hac Vice on behalf of Karen Robinson, Jonathon Robinson by Charles W. Branham; Order entered granting leave by Judge James F. Holderman. Filing fee $ 50 paid, receipt number 10342780. (gej, ) |
Filing 18 APPLICATION for Leave to Appear Pro Hac Vice on behalf of Karen Robinson, Jonathon Robinson by Jeffrey B. Simon; Order entered granting leave by Judge James F. Holderman. Filing fee $ 50 paid, receipt number 10342780. (gej, ) |
Filing 17 APPLICATION for Leave to Appear Pro Hac Vice on behalf of Karen Robinson, Jonathon Robinson by David C Greenstone; Order entered granting leave by Judge James F. Holderman. Filing fee $ 50 paid, receipt number 10342780. (gej, ) |
Filing 16 MINUTE entry before Judge Susan E. Cox: Status hearing held and continued to 4/7/2008 at 9:30 A.M. Mailed notice by judge's staff. (srb,) |
Filing 15 MINUTE entry before Judge Susan E. Cox :Status hearing before Magistrate Judge Cox is set for 12/18/2007 at 09:30 AM.Mailed notice (jms, ) |
Filing 14 Pursuant to Local Rule 72.1, this case is hereby referred to the calendar of Magistrate Judge Susan E. Cox for the purpose of holding proceedings related to: discovery disputes and settlement conference. (am) Mailed notice. |
Filing 13 MINUTE entry before Judge James F. Holderman : Status hearing held on 12/6/2007. Parties are given to and including 4/30/2008 to amend all pleadings and to add any additional parties. Plaintiff shall comply with FRCP(26)(a)(2) by 7/31/2008. Defendant shall comply with FRCP(26)(a)(2) by 10/31/2008. Discovery ordered closed by 1/31/2009. Parties are to meet with designated Magistrate Judge Cox at the end of fact discovery for a settlement conference. This case will be referred to Magistrate Judge Cox for settlement conference and discovery disputes. Dispositive motions with supporting memoranda due by 1/30/2009; responses due by 2/20/2009. Replies due by 3/13/2009. Final Pretrial Order due by 3/23/2009. Motions in limine with supporting memoranda due by 3/23/2009; responses due by 3/24/2009. Final Pretrial Conference set for 3/26/2009 at 4:00 PM. Jury Trial set for 3/30/2009 at 9:00 AM. Mailed notice (am) |
Filing 12 REPORT of Rule 26(f) Planning Meeting by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals (Sudzus, David) |
Filing 11 REPORT of Rule 26(f) Planning Meeting by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals (Sudzus, David) |
Filing 10 MINUTE entry before Judge James F. Holderman : Parties are to meet and prepare Form 35 for filing by 12/4/2007. Status hearing set for 12/6/2007 at 9:00 AM. Mailed notice (am) |
Filing 9 ATTORNEY Appearance for Plaintiffs Karen Robinson, Jonathon Robinson by James E. Ocasek (Ocasek, James) |
Filing 8 ANSWER to Complaint by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals(Dames, John) |
MAILED Notice of Removal Letter with attorney appearance form to counsel of record. (gej, ) |
Filing 7 DISCLOSURE STATEMENT by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals. (gej, ) |
Filing 5 ATTORNEY Appearance for Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals by Russell Jason Chibe. (gej, ) |
Filing 4 ATTORNEY Appearance for Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals by David B. Sudzus. (gej, ) |
Filing 3 ATTORNEY Appearance for Defendants Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals by John Dames. (gej, ) |
Filing 2 CIVIL Cover Sheet (gej, ) |
Filing 1 NOTICE of Removal with complaint and summons from Circuit Court of Cook County, case number (2007 L 008976) filed by Johnson & Johnson, McNeil Consumer & Specialty Pharmaceuticals. (gej, ) |
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