Stelmokas v. Bank of America, N.A. et al
Anthony Stemolkas and Anthony Stelmokas |
Bank of America, N.A. and CITIBANK, N.A. |
1:2018cv08262 |
December 17, 2018 |
US District Court for the Northern District of Illinois |
John Z Lee |
Contract: Insurance |
28 U.S.C. § 1441 |
None |
Docket Report
This docket was last retrieved on February 14, 2019. A more recent docket listing may be available from PACER.
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Filing 27 NOTICE of Motion by Anthony Stelmokas for presentment of plaintiff's motion for reconsideration #26 before Honorable John Z. Lee on 2/20/2019 at 09:00 a.m. (gcy, ) |
Filing 26 MOTION by Plaintiff Anthony Stelmokas to Reconsider. (gcy, ) |
Filing 25
TRANSCRIPT OF PROCEEDINGS held on 1/23/19 before the Honorable John Z. Lee. Court Reporter Contact Information: Joseph Rickhoff, 312-435-5562, joseph_rickhoff@ilnd.uscourts.gov. |
Filing 24 MINUTE entry before the Honorable John Z. Lee:Motion hearing held on 1/23/19. Plaintiff's motion to remand #20 is denied. Plaintiff's motion for leave to file a first amended complaint #22 is granted in part and denied in part as follows: Plaintiff's motion to dismiss Defendant Citibank is granted; Plaintiff request to add an additional defendant is denied. Citibank's motion to dismiss complaint #16 is stricken as moot. Plaintiff's response to Defendant Bank of America's motion to dismiss #9 shall be due by 2/28/19; reply due by 3/14/19. The status hearing set for 2/12/19 is reset to 4/10/19 at 9:00 a.m. Mailed notice (ca, ) |
Filing 23 NOTICE of Motion by Anthony Stemolkas for presentment of Plaintiff's motion for leave to file #22 before Honorable John Z. Lee on 1/23/2019 at 09:00 AM. (gcy, ) |
Filing 22 MOTION by Plaintiff Anthony Stemolkas for leave to file a first amended complaint. (Exhibits). (gcy, ) |
Filing 21 NOTICE of Motion by Anthony Stemolkas for presentment of Plaintiff's motion objecting to Notice of Removal #20 before Honorable John Z. Lee on 1/23/2019 at 09:00 AM. (gcy, ) |
Filing 20 MOTION by Plaintiff Anthony StemolkasObjecting to Removal of his State Court Action to the Federal District Court. (Exhibit). (gcy, ) |
Filing 19 PRO SE Appearance by Plaintiff Anthony Stemolkas. (gcy, ) |
Filing 18 NOTICE of Motion by James Michael Hearon for presentment of Motion to Dismiss for Failure to State a Claim #16 before Honorable John Z. Lee on 1/22/2019 at 09:00 AM. (Hearon, James) |
Filing 17 MINUTE entry before the Honorable John Z. Lee:Plaintiff's response to Defendant's motion to dismiss #16 shall be due by 2/13/19; reply due by 2/27/19. Mailed notice (ca, ) |
Filing 16 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM by Defendant CITIBANK, N.A. (Hearon, James) |
Filing 15 MINUTE entry before the Honorable John Z. Lee: Initial status hearing set for 2/12/19 at 9:00 a.m. Judge Lee participates in the Mandatory Initial Discovery Pilot Project ("Project"). The Project applies to all cases filed on or after June 1, 2017, excluding the following: (1) cases exempted by Rule 26(a)(1)(B), (2) actions brought by a person in the custody of the United States, a state, or a state subdivision, regardless of whether an attorney is recruited, (3) actions under the Private Securities Litigation Reform Act, (4) patent cases governed by the Local Patent Rules, and (5) cases transferred for consolidated administration in the District by the Judicial Panel on Multidistrict Litigation ("Exempt Cases").For all cases to which the Project applies, Judge Lee requires (1) each attorney appearing on behalf of Plaintiff(s) to file a "Certification by Attorney Regarding Discovery Obligations Under Mandatory Initial Discovery Pilot Project" form within 28 days after the filing of the Complaint and (2) each attorney appearing on behalf of Defendant(s) to file the certification form with the Answer. The parties are directed to file a joint initial status report four business days prior to the initial status hearing. The certification form and initial status report requirements are set forth in Judge Lee's standing order regarding the "Mandatory Initial Discovery Pilot Project" available on the Courts website. For all Exempt Cases, the parties are directed to file a joint initial status report four business days prior to the initial status hearing in accordance with the standing order governing "Initial Status Report in Cases Exempt from the Mandatory Initial Discovery Pilot Project" also available on the Court's website. Mailed notice (ca, ) |
Filing 14 MINUTE entry before the Honorable John Z. Lee:Motion for extension of time until January 14, 2019 to respond to the complaint #12 is granted. Plaintiff's response to Defendant's motion to dismiss #9 shall be due by 1/18/19; reply due by 2/1/19. No appearance is required on the motion.Mailed notice (ca, ) |
Filing 13 NOTICE of Motion by Brooke A. Troutman for presentment of extension of time #12 before Honorable John Z. Lee on 12/28/2018 at 09:00 AM. (Troutman, Brooke) |
Filing 12 MOTION by Defendant CITIBANK, N.A. for extension of time to Respond to Complaint (Troutman, Brooke) |
Filing 11 ATTORNEY Appearance for Defendant CITIBANK, N.A. by Brooke A. Troutman (Troutman, Brooke) |
Filing 10 NOTICE of Motion by Lawrence Mitchell Benjamin for presentment of motion to dismiss #9 before Honorable John Z. Lee on 1/8/2019 at 09:30 AM. (Benjamin, Lawrence) |
Filing 9 MOTION by Defendant Bank of America, N.A. to dismiss (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3, #4 Exhibit 4, #5 Exhibit 5, #6 Exhibit 6)(Benjamin, Lawrence) |
Filing 8 MAILED Notice of Removal letter to Counsel of record. (gcy, ) |
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. (gcy, ) |
Filing 6 NOTICE by Bank of America, N.A. of Consent to Removal (Benjamin, Lawrence) |
Filing 5 ATTORNEY Appearance for Defendant Bank of America, N.A. by Lawrence Mitchell Benjamin (Benjamin, Lawrence) |
Filing 4 ATTORNEY Appearance for Defendant CITIBANK, N.A. by James Michael Hearon (Hearon, James) |
Filing 3 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by CITIBANK, N.A. (Hearon, James) |
Filing 2 CIVIL Cover Sheet (Hearon, James) |
Filing 1 NOTICE of Removal from Circuit Court of Cook County, Illinois, case number (2018L01061) filed by CITIBANK, N.A. Filing fee $ 400, receipt number 0752-15286244. (Hearon, James) |
CASE ASSIGNED to the Honorable John Z. Lee. Designated as Magistrate Judge the Honorable Susan E. Cox. Case assignment: Random assignment. (jjr, ) |
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