International Union of Operating Engineers, Local 150, AFL-CIO et al v. Needham Excavating, Inc., an Iowa corporation
Midwest Operating Engineers Retirement Enhancement Fund, Midwest Operating Engineers Welfare Fund, International Union of Operating Engineers, Local 150, AFL-CIO, Local 150 IUOE Vacation Savings Plan, Operating Engineers Local 150 Apprenticeship Fund, Midwest Operating Engineers Pension Trust Fund and Construction Industry Research and Service Trust Fund |
Needham Excavating, Inc., an Iowa corporation and Needham Excavating Inc. |
1:2018cv08045 |
December 7, 2018 |
US District Court for the Northern District of Illinois |
Edmond E Chang |
Labor: E.R.I.S.A. |
29 U.S.C. § 1132 |
None |
Docket Report
This docket was last retrieved on January 15, 2019. A more recent docket listing may be available from PACER.
Document Text |
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Filing 16 MINUTE entry before the Honorable Edmond E. Chang: In light of the pending motion before the MDL Panel, the motion #13 to stay is granted and the extension motion #11 to answer is extended even further if the case remains here. The answer deadline is reset to 03/18/2019. All other deadlines are suspended. The status hearing of 01/18/2019 is reset to 03/20/2019 at 9:00 a.m., with another status report (if the case is still here) due by 03/14/2019. Emailed notice (slb, ) |
Filing 15 STATUS Report [JOINT INITIAL] by Construction Industry Research and Service Trust Fund, International Union of Operating Engineers, Local 150, AFL-CIO, Local 150 IUOE Vacation Savings Plan, Midwest Operating Engineers Pension Trust Fund, Midwest Operating Engineers Retirement Enhancement Fund, Midwest Operating Engineers Welfare Fund, Operating Engineers Local 150 Apprenticeship Fund (LaRose, Elizabeth) |
Filing 14 NOTICE of Motion by Elizabeth Ann LaRose for presentment of motion to stay, #13 before Honorable Edmond E. Chang on 1/18/2019 at 08:30 AM. (LaRose, Elizabeth) |
Filing 13 MOTION by Plaintiffs Construction Industry Research and Service Trust Fund, International Union of Operating Engineers, Local 150, AFL-CIO, Local 150 IUOE Vacation Savings Plan, Midwest Operating Engineers Pension Trust Fund, Midwest Operating Engineers Retirement Enhancement Fund, Midwest Operating Engineers Welfare Fund, Operating Engineers Local 150 Apprenticeship Fund to stay Proceedings [JOINT] (LaRose, Elizabeth) |
Filing 12 MOTION for transfer and consolidation of actions to the Southern District of Iowa, Eastern Division pursuant to 28 U.S.C 1407 (Attachments: #1 Memorandum in support of plaintiff's motion for transfer of actions to the Southern District of Iowa, Eastern Division and for consolidation pursuant to 28 U.S.C. 1407, #2 Schedule of actions) (tt, ) |
Filing 11 MOTION to Defer Responsive Pleading Deadline (MIDP) Unopposed Motion to Extend Time to Answer or Plead, filed by Defendant Needham Excavating Inc.. (Niew, Stanley) |
Filing 10 SUMMONS Returned Executed by Midwest Operating Engineers Retirement Enhancement Fund, Midwest Operating Engineers Pension Trust Fund, Construction Industry Research and Service Trust Fund, Midwest Operating Engineers Welfare Fund, International Union of Operating Engineers, Local 150, AFL-CIO, Operating Engineers Local 150 Apprenticeship Fund, Local 150 IUOE Vacation Savings Plan as to All Defendants. (LaRose, Elizabeth) |
Filing 9 NOTICE by Needham Excavating Inc. NOTICE OF FILING (Attachments: #1 MOTION FOR TRANSFER AND CONSOLIDATION OF ACTIONS)(Niew, Stanley) |
Filing 8 ATTORNEY Appearance for Defendant Needham Excavating Inc. by Stanley E. Niew (Niew, Stanley) |
Filing 7 NOTICE TO THE PARTIES - The Court is participating in the Mandatory Initial Discovery Pilot (MIDP). The key features and deadlines are set forth in this Notice which includes a link to the (MIDP) Standing Order and a Checklist for use by the parties. In cases subject to the pilot, all parties must respond to the mandatory initial discovery requests set forth in the Standing Order before initiating any further discovery in this case. Please note: The discovery obligations in the Standing Order supersede the disclosures required by Rule 26(a)(1). Any party seeking affirmative relief must serve a copy of the following documents (Notice of Mandatory Initial Discovery and the Standing Order) on each new party when the Complaint, Counterclaim, Crossclaim, or Third-Party Complaint is served. (ph, ) |
Filing 6 MINUTE entry before the Honorable Edmond E. Chang:Initial status hearing set for 01/18/2019 at 8:30 a.m. The parties must file a joint initial status report with the content described in the attached status report requirements at least 3 business days before the initial status hearing. Plaintiff must still file the report even if not all Defendants have been served or have responded to requests to craft a joint report. Because the Procedures are occasionally revised, counsel must read them anew even if counsel has appeared before Judge Chang in other cases. Emailed notice (Attachments: #1 Status Report Requirements) (slb, ) |
Filing 5 ATTORNEY Appearance for Plaintiff International Union of Operating Engineers, Local 150, AFL-CIO by Robert A Paszta (Paszta, Robert) |
Filing 4 ATTORNEY Appearance for Plaintiff International Union of Operating Engineers, Local 150, AFL-CIO by Dale D. Pierson (Pierson, Dale) |
Filing 3 ATTORNEY Appearance for Plaintiffs Construction Industry Research and Service Trust Fund, International Union of Operating Engineers, Local 150, AFL-CIO, Local 150 IUOE Vacation Savings Plan, Midwest Operating Engineers Pension Trust Fund, Midwest Operating Engineers Retirement Enhancement Fund, Midwest Operating Engineers Welfare Fund, Operating Engineers Local 150 Apprenticeship Fund by Elizabeth Ann LaRose (LaRose, Elizabeth) |
Filing 2 CIVIL Cover Sheet (LaRose, Elizabeth) |
Filing 1 COMPLAINT filed by Midwest Operating Engineers Retirement Enhancement Fund, Midwest Operating Engineers Pension Trust Fund, Construction Industry Research and Service Trust Fund, Midwest Operating Engineers Welfare Fund, International Union of Operating Engineers, Local 150, AFL-CIO, Operating Engineers Local 150 Apprenticeship Fund, Local 150 IUOE Vacation Savings Plan ; Filing fee $ 400, receipt number 0752-15253447. (Attachments: #1 Exhibit A-E)(LaRose, Elizabeth) |
CASE ASSIGNED to the Honorable Edmond E. Chang. Designated as Magistrate Judge the Honorable Jeffrey T. Gilbert. Case assignment: Random assignment. (rc, ) |
SUMMONS Issued as to Defendant Needham Excavating, Inc., an Iowa corporation (mc, ) |
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