Kalechstein, PH.D v. Mehrdad Abbassian, M.D., P.C. et al
Plaintiff: Ari Kalechstein, PH.D
Defendant: Mehrdad Abbassian, M.D. and Mehrdad Abbassian, M.D., P.C.
Case Number: 1:2015cv05929
Filed: July 6, 2015
Court: US District Court for the Northern District of Illinois
Office: Chicago Office
County: Cook
Presiding Judge: Mary M-MagJud Rowland
Nature of Suit: Contract: Other
Cause of Action: 28 U.S.C. § 1332
Jury Demanded By: Defendant
Docket Report

This docket was last retrieved on September 13, 2017. A more recent docket listing may be available from PACER.

Date Filed Document Text
September 13, 2017 Filing 77 MINUTE entry before the Honorable Mary M. Rowland: Parties' Joint Motion and Stipulation to Withdraw Defendants' Motion for a Finding that it is Entitled to Attorney Fees as Prevailing Party and Bill of Costs #76 is GRANTED. Defendants' Motion for a Finding that it is Entitled to Attorney Fees as Prevailing Party (Dkt. 73) is withdrawn and Defendants' Bill of Costs (Dkt. 75) is withdrawn. Hearing set for 9/14/17 is stricken. Mailed notice. (dm, )
September 13, 2017 Filing 76 MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. to withdraw bill of costs #75 Joint Motion and Stipulation to Withdraw Defendants' Motion for a Finding that it is Entitled to Attorney Fees as Prevailing Party and Bill of Costs (Fish, David)
September 6, 2017 Filing 75 BILL of Costs Bill of Costs (Fish, David)
September 5, 2017 Filing 74 Notice of Motion NOTICE of Motion by David J. Fish for presentment of motion for attorney fees, #73 before Honorable Mary M. Rowland on 9/14/2017 at 09:45 AM. (Fish, David)
September 5, 2017 Filing 73 MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. for attorney fees Defendant's Motion for a Finding that it is Entitled to Attorney Fees as Prevailing Party (Attachments: #1 Exhibit Ex A - Employment Agreement)(Fish, David)
August 8, 2017 Filing 72 ENTERED JUDGMENT on 8/8/2017. Mailed notice. (dm, )
August 8, 2017 Filing 71 MEMORANDUM Opinion and Order Signed by the Honorable Mary M. Rowland on 8/8/2017. Mailed notice. (dm, )
August 8, 2017 Filing 70 MINUTE entry before the Honorable Mary M. Rowland: For the reasons stated in the Memorandum Opinion and Order, Defendants' Motion for Summary Judgment #48 is GRANTED, and Plaintiff's Motion for Summary Judgment #46 is DENIED. Enter Memorandum Opinion and Order. Civil case terminated. Mailed notice. (dm, )
May 24, 2017 Filing 69 TRANSCRIPT OF PROCEEDINGS held on 12-06-2016 before the Honorable Mary M. Rowland. Court Reporter Contact Information: Pamela S. Warren https://www.ilnd.uscourts.gov/home/Transcript-Order-Form.aspx.

< Redaction Request due 6/14/2017. Redacted Transcript Deadline set for 6/26/2017. Release of Transcript Restriction set for 8/22/2017. (Warren, Pamela)
May 12, 2017 Filing 68 MINUTE entry before the Honorable Mary M. Rowland: Defendants' unopposed motion for leave to provide supplemental authority in support of summary judgment #66 is granted. No appearance necessary on 5/18/17. Mailed notice. (dm, )
May 11, 2017 Filing 67 Notice of Motion NOTICE of Motion by David J. Fish for presentment of motion for miscellaneous relief, #66 before Honorable Mary M. Rowland on 5/18/2017 at 09:45 AM. (Fish, David)
May 11, 2017 Filing 66 MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C.Leave to Provide Supplemental Authority Defendants' Motion for Leave to Provide Supplemental Authority in Support of Summary Judgment (Attachments: #1 Exhibit Ex A - Case Law of Sommese v. American Bank & Trust)(Fish, David)
April 21, 2017 Filing 65 REPLY by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. to response in opposition to motion #60 for Summary Judgment (Hilton, Kimberly)
April 21, 2017 Filing 64 RULE 56 Statement Response to Plaintiff's Statement of Additional Facts (Hilton, Kimberly)
April 21, 2017 Filing 63 REPLY by Ari Kalechstein, PH.D to Response, #57 (Gamboa, Paul)
April 21, 2017 Filing 62 RESPONSE by Plaintiff Ari Kalechstein, PH.D to Rule 56 statement,, #59 (Gamboa, Paul)
April 7, 2017 Filing 61 RESPONSE by Plaintiff Ari Kalechstein, PH.D to Rule 56 statement,, #59 of Material Facts and Statement of Additional Facts (Attachments: #1 Exhibit 1)(Gamboa, Paul)
April 7, 2017 Filing 60 RESPONSE by Ari Kalechstein, PH.Din Opposition to MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. for summary judgment Defendants' Motion for Summary Judgement #48 (Gamboa, Paul)
April 7, 2017 Filing 59 RULE 56 56.1 Statement Defendants' Statement of Additional Facts Requiring the Denial of Plaintiff's Motion for Summary Judgment (Attachments: #1 Exhibit Ex 1 - 5.31.05 Email re Contract, #2 Exhibit Ex 2 - 6.13.05 Email re Revisions, #3 Exhibit Ex 3 - 6.24.05 Email re Edited Contract, #4 Exhibit Ex 4 - 7.25.05 Email re Our Contract, #5 Exhibit Ex 5 - 8.3.05 Email re Revised Contract, #6 Exhibit Ex 6 - Email re Amended Contract (8.29.05), #7 Exhibit Ex 7 - M Abbassian Affidavit, #8 Certificate of Service)(Fish, David)
April 7, 2017 Filing 58 RESPONSE by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. to Rule 56 statement,, #47 Defendant's Response to Plaintiff's Local Rule 56.1 Statement of Material Facts (Attachments: #1 Certificate of Service)(Fish, David)
April 7, 2017 Filing 57 RESPONSE by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. to motion for summary judgment #46 Defendants' Response to Plaintiff's Motion for Summary Judgment (Attachments: #1 Certificate of Service)(Fish, David)
March 13, 2017 Filing 56 MINUTE entry before the Honorable Mary M. Rowland: Defendants' Motion for Leave to File Documents under Seal #52 is granted. No appearance necessary on 3/16/17. Mailed notice. (dm, )
March 13, 2017 Filing 55 SEALED EXHIBIT by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. Defendants' Local Rule 56.1(a) Statement of Material Facts regarding Rule 56 statement,,,, #50 (Attachments: #1 Exhibit Ex 2 - Dep Transcript of Ari Kalechstein, #2 Exhibit Ex 16 - 2005 Tax Return, #3 Exhibit Ex 17 - 2006 Tax Return, #4 Exhibit Ex 18 - 2007 Tax Return, #5 Certificate of Service)(Fish, David)
March 10, 2017 Filing 54 Notice of Motion NOTICE of Motion by David J. Fish for presentment of motion for leave to file #52 before Honorable Mary M. Rowland on 3/16/2017 at 09:45 AM. (Fish, David)
March 10, 2017 Filing 53 Notice of Motion NOTICE of Motion by David J. Fish for presentment of (Fish, David)
March 10, 2017 Filing 52 MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. for leave to file Motion for Leave to File Documents Under Seal Pursuant to L. R. 26.2 (Fish, David)
March 10, 2017 Filing 51 MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. to seal document memorandum in support of motion, #49 Defendants's Memorandum of Law in Support of Their Motion for Summary Judgment (Fish, David)
March 10, 2017 Filing 50 RULE 56 56.1(a) Statement by Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. regarding motion for summary judgment #48 Defendants' Local Rule 56.1(a) Statement of Material Facts (Attachments: #1 Exhibit Ex 1 - Employment Agreement, #2 Exhibit Ex 2 - Dep Transcript of Ari Kalechstein - Redacted, #3 Exhibit Ex 3 - Kalechstein Answers to Interrogatories, #4 Exhibit Ex 4 - Kalechstein Responses to Second Set of Interrogatories, #5 Exhibit Ex 5 - Kalechstein - Responses to Request to Admit, #6 Exhibit Ex 6 - 2.8.2005 Email re interview with Dr. Abbassian, #7 Exhibit Ex 7 - Email from OBrien re Bad Agreement (2-16-05), #8 Exhibit Ex 8 - Email re Unenforceable Agreement (4-25-05), #9 Exhibit Ex 9 - Email re Unenforceable Agreement (5-4-05), #10 Exhibit Ex 10 - 6-24-05 Email re arnstein draft, #11 Exhibit Ex 11 - Email re Harwood Work (11-9-05), #12 Exhibit Ex 12 - Email re Partner (3-9-06), #13 Exhibit Ex 13 - 6-9-06 Email re addendum, #14 Exhibit Ex 14 - IDPFR, #15 Exhibit Ex 15 - Abbassian Declaration, #16 Exhibit Ex 16 - 2005 Tax Return, #17 Exhibit Ex 17 - 2006 Tax Return, #18 Exhibit Ex 18 - 2007 Tax Return, #19 Certificate of Service)(Fish, David)
March 10, 2017 Filing 49 MEMORANDUM by Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. in support of motion for summary judgment #48 Defendants's Memorandum of Law in Support of Their Motion for Summary Judgment (Attachments: #1 Certificate of Service)(Fish, David)
March 10, 2017 Filing 48 MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. for summary judgment Defendants' Motion for Summary Judgement (Attachments: #1 Certificate of Service)(Fish, David)
March 10, 2017 Filing 47 RULE 56.1 Statement by Ari Kalechstein, PH.D regarding motion for summary judgment #46 (Attachments: #1 Exhibit Exhibit A: Plaintiffs Amended Complaint, #2 Exhibit Exhibit A-1: Employment Agreement, #3 Exhibit Exhibit B: Defendants' Answer to Amended Complaint, #4 Exhibit Exhibit C: Transcript of the Deposition of Dr. Ari Kalechstein, #5 Exhibit Exhibit D: Transcript of the Deposition of Dr. Mehrdad Abbassian, #6 Exhibit Exhibit E: Defendants' Answers to Interrogatories, #7 Exhibit Exhibit F: Defendants' Responses to Request to Admit, #8 Exhibit Exhibit G: Order Denying Motion to Dismiss)(Gamboa, Paul)
March 10, 2017 Filing 46 MOTION by Plaintiff Ari Kalechstein, PH.D for summary judgment and Memorandum of Law in Support (Gamboa, Paul)
January 23, 2017 Filing 45 MINUTE entry before the Honorable Mary M. Rowland: On 1/23/17, the Court heard Plaintiff's oral motion to compel 30(b)(6) witness Doctor Abbassian to respond to deposition questions regarding discussions between Doctor Abbassian and attorney Mr. Jeddeloh related to the drafting of the employment agreement at issue in the case. The parties were in the midst of deposing Dr. Abbassian. Defendant objects based on attorney-client privilege. Plaintiff's motion to compel is granted, and Defendant's objection is overruled. Because Abbassian is a Rule 30(b)(6) witness; attorney Jeddeloh was identified as a Rule 26(a)(1) witness; Mr. Jeddeloh represented both Plaintiff and Defendant in drafting the employment agreement; and the fees paid to Mr. Jeddeloh were credited to Plaintiff's earning center, Defendant's objection is overruled. This ruling pertains only to deposition questions on the topic of the drafting of the employment agreement at issue in this case. Moreover, the ruling only governs the discovery in this case. Defendant can raise the privilege at summary judgment and/or trial. Mailed notice. (dm, )
January 23, 2017 ORAL MOTION by Plaintiff to compel. (dm, )
December 6, 2016 Filing 44 MINUTE entry before the Honorable Mary M. Rowland: Status hearing held. Counsel report on discovery. Fact discovery closes 01/27/17. Expert discovery limited to damages will follow dispositive motion briefing, if necessary. Cross motions for summary judgment are due 03/10/17. Responses due 4/7/17 and replies, if any, are due 4/21/17. Mailed notice. (dm, )
October 11, 2016 Filing 43 MINUTE entry before the Honorable Mary M. Rowland: Motion hearing held. Plaintiff's Motion to Compel Discovery #41 is granted. All of the documents identified in the motion shall be produced by 10/25/16. No further extensions will be granted. These documents should have been produced already. As to credit card records for closed accounts, the court believes those are in Defendants' custody and control. Dr. Abbassian shall conduct a thorough search (electronically) for them. If unable to access them, Plaintiff shall issue a subpoena, without objection. Any objection to the deposition of Mr. Jeddeloh is overruled. The summary judgment briefing dates set in the 9/7/16 minute order #40 are vacated. Status set for 12/6/16 at 9:00 AM. Discovery close date (fact and experts) and summary judgment schedule will be set at that time. Mailed notice. (dm, )
October 5, 2016 Filing 42 NOTICE of Motion by Paul Gamboa for presentment of motion to compel,,,, motion for extension of time to complete discovery,,, #41 before Honorable Mary M. Rowland on 10/11/2016 at 09:15 AM. (Gamboa, Paul)
October 5, 2016 Filing 41 MOTION by Plaintiff Ari Kalechstein, PH.D to compel production of documents and overrule objections, MOTION by Plaintiff Ari Kalechstein, PH.D for extension of time to complete discovery (Attachments: #1 Exhibit A: August 29, 2016 letter outlining overdue production, #2 Exhibit B: September 21, 2016 meet-and-confer agenda, #3 Exhibit C: September 29, 2016 follow up letter to defense counsel, #4 Exhibit D: October 4, 2016 follow up letter to defense counsel, #5 Exhibit E: April 26, 2016 email re: production of Dr. Alam for deposition, #6 Exhibit F: September 21, 2016 request for depositions, #7 Exhibit G: September 16, 2016 Subpoena to Norman Jeddeloh, #8 Exhibit H: September 16, 2016 correspondence re: Jeddeloh subpoena)(Gamboa, Paul)
September 7, 2016 Filing 40 MINUTE entry before the Honorable Mary M. Rowland: Status hearing held. Fact discovery closes 11/10/16. Expert discovery will follow dispositive motion briefing. Cross motions for summary judgment are due 12/19/16. Responses due 1/30/17 and replies, if any, due 2/13/17. Mailed notice. (dm, )
August 25, 2016 Filing 39 NOTICE by All Defendants Notice of Service (Fish, David)
August 19, 2016 Filing 38 MINUTE entry before the Honorable Mary M. Rowland: Settlement Conference held. Settlement not reached. Status hearing set for 9/7/16 at 9:00 a.m. Parties shall be prepared to set a close of discovery date. Mailed notice. (dm, )
August 1, 2016 Opinion or Order Filing 37 ORDER: On May 27, 2016, Defendants filed a Motion to Compel #33 . On June 2, 2016, the motion was granted in part and taken under advisement in part. (See Dkt. #36 ). The only remaining issue is Defendants' motion to compel Plaintiff's tax returns, W2s, and 1099s. Defendants' motion to compel Plaintiff's financial documents is granted. Plaintiff shall produce documents by August 8, 2016. The documents shall be produced pursuant to the Agreed Confidentiality Order. (See Dkt. #28 ). Signed by the Honorable Mary M. Rowland on 8/1/2016. (See Order for further details.) Mailed notice. (dm, )
June 2, 2016 Filing 36 MINUTE entry before the Honorable Mary M. Rowland: Status and motion hearings held. Defendants' motion to compel #33 is granted in part and taken under advisement in part. By 6/9/16, Plaintiff shall produce e-mails in native format and with attachments or the appropriate attachments; information regarding the total paid to his previous counsel and any billing records available; and document production responses that identify the Bates numbers of responsive documents. Defendants' motion to compel production of Plaintiff's tax returns, W2s and 1099s is taken under advisement. Plaintiff shall file a response by 6/6/16. The Court will rule by mail. Settlement conference set for 08/19/16 at 1:30 p.m. Parties are to exchange position letters prior to the settlement conference. Plaintiff shall provide Defendants with a demand letter by 08/05/16. Defendants have 7 days thereafter to respond. Plaintiff shall submit copies of all letters exchanged by the parties to Settlement_Rowland@ilnd.uscourts.gov by 08/15/16. Parties should also review and comply with Judge Rowland's standing order regarding settlement conferences which can be found on the Court's website at www.ilnd.uscourts.gov. Parties shall take limited depositions in anticipation of the settlement conference. Mailed notice. (dm, )
June 2, 2016 Filing 35 RESPONSE by Ari Kalechstein, PH.Din Opposition to MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. to compel RESPONSE TO DISCOVERY REQUESTS #33 (Spiezia, Christina)
May 27, 2016 Filing 34 NOTICE of Motion by Kimberly A. Hilton for presentment of motion to compel, #33 before Honorable Mary M. Rowland on 6/2/2016 at 09:15 AM. (Hilton, Kimberly)
May 27, 2016 Filing 33 MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. to compel RESPONSE TO DISCOVERY REQUESTS (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)(Hilton, Kimberly)
May 17, 2016 Filing 32 MINUTE entry before the Honorable Mary M. Rowland: Status hearing set for 06/02/16 at 9:00 a.m. Parties should be prepared to report on status of discovery. Discovery is set to close on 07/29/16. [Dkt #25 .] Mailed notice. (dm, )
May 13, 2016 Opinion or Order Filing 31 ORDER REASSIGNING case to the Honorable Mary M. Rowland, pursuant to Local Rule 73.1for all further proceedings parties having consented to the reassignment. Signed by Honorable Charles R. Norgle, Sr on 05/13/2016.(rm, )
May 11, 2016 Filing 30 JOINT CONSENT to Exercise of Jurisdiction by a United States Magistrate Judge (Fish, David)
April 6, 2016 Filing 29 NOTICE by All Defendants Notice of Service (Fish, David)
February 26, 2016 Filing 28 AGREED Confidentiality Order. Signed by the Honorable Charles R. Norgle, Sr on 2/26/2016. Mailed notice. (kp, )
January 5, 2016 Filing 27 Defendants ANSWER to amended complaint by Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C.(Fish, David)
December 28, 2015 Filing 26 AMENDED complaint by Ari Kalechstein, PH.D against All Defendants (Attachments: #1 Exhibit Exhibit A: Employment Agreement)(Gamboa, Paul)
December 28, 2015 Filing 25 MINUTE entry before the Honorable Charles R. Norgle: Agreed Motion for Leave to File an Amended Complaint #23 is granted. Discovery is ordered closed on 7/29/2016. Jury trial is set for 8/30/2016 at 10:00 a.m. The parties are not required to appear before the court on Thursday, December 31, 2015. (Judge Norgle's motion call is on Friday's only.) Mailed notice (ewf, )
December 18, 2015 Filing 24 NOTICE of Motion by Paul Gamboa for presentment of motion to file instanter #23 before Honorable Charles R. Norgle Sr. on 12/31/2015 at 09:30 AM. (Gamboa, Paul)
December 18, 2015 Filing 23 MOTION by Plaintiff Ari Kalechstein, PH.D to file instanter Amended Complaint (Attachments: #1 Exhibit A: Proposed Amended Complaint)(Gamboa, Paul) (Docket Text modified by Clerk's Office) (sr, ).
December 18, 2015 Filing 22 Defendants' Answer and Affirmative Defenses to Plaintiff's Complaint ANSWER to Complaint with Jury Demand by Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C.(Fish, David)
December 3, 2015 Opinion or Order Filing 21 ORDER: Defendants' Rule 12(b)(6) Motion to Dismiss the Plaintiff's Complaint #9 is denied. Plaintiff must submit a more definitive statement of his pleadings to explain how he arrived at the amount in controversy be December 18, 2015. Signed by the Honorable Charles R. Norgle, Sr on 12/3/2015. Mailed notice(sr, )
October 22, 2015 Filing 20 MINUTE entry before the Honorable Charles R. Norgle: Motion for Leave to Provide the Court with Supplemental Authority #18 is granted. The parties are not required to appear before the court on Friday, October 23, 2015. Mailed notice (ewf, )
October 8, 2015 Filing 19 NOTICE of Motion by David J. Fish for presentment of motion for leave to file #18 before Honorable Charles R. Norgle Sr. on 10/23/2015 at 09:30 AM. (Fish, David)
October 8, 2015 Filing 18 MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. for leave to file provide supplemental authority with the court (Attachments: #1 Exhibit A, #2 Certificate of Service)(Fish, David)
September 4, 2015 Filing 17 REPLY by Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. to MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM #9 , response in opposition to motion #16 (Fish, David)
August 25, 2015 Filing 16 RESPONSE by Ari Kalechstein, PH.Din Opposition to MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM #9 (Attachments: #1 Exhibit A: Employment Agreement)(Gamboa, Paul)
July 30, 2015 Opinion or Order Filing 15 ORDER Signed by the Honorable Charles R. Norgle, Sr on 7/30/2015. Mailed notice (jc, )
July 30, 2015 Filing 14 MINUTE entry before the Honorable Charles R. Norgle: Enter ORDER. Motion for extension of time #6 is withdrawn. Plaintiff will respond to Defendants' Motion to Dismiss #9 on or before 8/25/2015. Defendants will file any reply by 9/15/2015. The parties need not appear before the court on July 31, 2015. Mailed notice (ewf, )
July 28, 2015 Filing 13 SUMMONS Returned Executed by Ari Kalechstein, PH.D as to Mehrdad Abbassian, M.D., P.C. on 7/9/2015, answer due 7/30/2015. (Attachments: #1 Certificate of Service)(Gamboa, Paul)
July 28, 2015 Filing 12 SUMMONS Returned Executed by Ari Kalechstein, PH.D as to Mehrdad Abbassian, M.D. on 7/15/2015, answer due 8/5/2015. (Attachments: #1 Certificate of Service)(Gamboa, Paul)
July 27, 2015 Filing 11 ATTORNEY Appearance for Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. by Kimberly A. Hilton (Hilton, Kimberly)
July 27, 2015 Filing 10 NOTICE of Motion by David J. Fish for presentment of Motion to Dismiss for Failure to State a Claim #9 before Honorable Charles R. Norgle Sr. on 7/31/2015 at 09:30 AM. (Fish, David)
July 27, 2015 Filing 9 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM (Attachments: #1 Notice of Filing NOM)(Fish, David)
July 17, 2015 Filing 8 NOTICE of Motion by David J. Fish for presentment of motion for extension of time to file answer, motion for relief #6 before Honorable Charles R. Norgle Sr. on 7/31/2015 at 09:30 AM. (Fish, David)
July 17, 2015 Filing 7 ATTORNEY Appearance for Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. by David J. Fish (Fish, David)
July 17, 2015 Filing 6 MOTION by Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. for extension of time to file answer regarding complaint #1 (Attachments: #1 Notice of Filing NOM)(Fish, David)
July 7, 2015 Filing 5 ATTORNEY Appearance for Plaintiff Ari Kalechstein, PH.D by Christina Rose Spiezia (Attachments: #1 Certificate of Service)(Spiezia, Christina)
July 7, 2015 SUMMONS Issued as to Defendants Mehrdad Abbassian, M.D., Mehrdad Abbassian, M.D., P.C. (pg, )
July 6, 2015 Filing 4 ATTORNEY Appearance for Plaintiff Ari Kalechstein, PH.D by Paul Gamboa (Attachments: #1 Certificate of Service)(Gamboa, Paul)
July 6, 2015 Filing 3 ATTORNEY Appearance for Plaintiff Ari Kalechstein, PH.D by James H. Ryan (Attachments: #1 Certificate of Service)(Ryan, James)
July 6, 2015 Filing 2 CIVIL Cover Sheet (Ryan, James)
July 6, 2015 Filing 1 COMPLAINT filed by Ari Kalechstein, PH.D; Jury Demand. Filing fee $ 400, receipt number 0752-10832147.(Ryan, James)
July 6, 2015 CASE ASSIGNED to the Honorable Charles R. Norgle, Sr. Designated as Magistrate Judge the Honorable Mary M. Rowland. (dc, )

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Defendant: Mehrdad Abbassian, M.D.
Represented By: Kimberly A. Hilton
Represented By: David J. Fish
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Defendant: Mehrdad Abbassian, M.D., P.C.
Represented By: Kimberly A. Hilton
Represented By: David J. Fish
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Plaintiff: Ari Kalechstein, PH.D
Represented By: James H. Ryan
Represented By: Paul Gamboa
Represented By: Christina Rose Spiezia
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