Duran v. Conagra Foods, Inc. et al
Reveriano Duran |
Conagra Brands, Inc. and Conagra Foods, Inc. |
1:2019cv03120 |
May 8, 2019 |
US District Court for the Northern District of Illinois |
John J Tharp |
Personal Injury: Health Care/Pharmaceutical Personal Injury Product Liability |
28 U.S.C. ยง 1332 |
Both |
Docket Report
This docket was last retrieved on June 12, 2019. A more recent docket listing may be available from PACER.
Document Text |
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Filing 18 MINUTE entry before the Honorable John J. Tharp, Jr:Upon receipt of the parties' stipulation of dismissal without prejudice #17 pursuant to Fed. R. Civ. P. 41(a)(1)(A)(ii), all future dates and deadlines are stricken and all pending motions are denied as moot. Civil Case terminated. Mailed notice (air, ) |
Filing 17 STIPULATION of Dismissal Without Prejudice (McCall, Kara) |
Filing 16 ATTORNEY Appearance for Defendants Conagra Brands, Inc., Conagra Foods, Inc. by Angelo Joseph Suozzi (Suozzi, Angelo) |
Filing 15 MINUTE entry before the Honorable John J. Tharp, Jr:Plaintiffs motion to dismiss #13 will not be heard as noticed. On the Courts own motion, the motion hearing set for 5/28/19 is stricken and re-set for 6/13/19 at 9:30 a.m. (rbf, ) |
Filing 14 NOTICE of Motion by Peter J. Flowers for presentment of motion to dismiss #13 before Honorable John J. Tharp Jr. on 5/28/2019 at 09:00 AM. (Flowers, Peter) |
Filing 13 MOTION by Plaintiff Reveriano Duran to dismiss Without Prejudice (Flowers, Peter) |
Filing 12 MINUTE entry before the Honorable John J. Tharp, Jr:Plaintiff is directed to notice for presentment his motion to dismiss without prejudice #11 in accordance with Local Rule 5.3 or to file a stipulated dismissal signed by counsel for both parties as required by Fed. R. Civ. P. 41(a)(1)(A)(ii) because the defendant has answered the complaint. (rbf, ) |
Filing 11 NOTICE of Voluntary Dismissal by Reveriano Duran (Flowers, Peter) |
Filing 10 ATTORNEY Appearance for Plaintiff Reveriano Duran by Peter J. Flowers (Flowers, Peter) |
Filing 9 AMENDED notice of removal, #1 (Attachments: #1 Exhibit A, #2 Exhibit B)(McCall, Kara) |
Filing 8 ANSWER to Complaint with Jury Demand by Conagra Brands, Inc., Conagra Foods, Inc.(McCall, Kara) |
Filing 7 MAILED Notice of Removal letter to counsel of record. (aee, ) |
Filing 6 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. (aee, ) |
Filing 5 MINUTE entry before the Honorable John J. Tharp, Jr: Defendant is directed to file, by May 17, 2019, an amended notice of removal setting forth an adequate factual basis for its assertion of jurisdiction under 28 U.S.C. 1332. Neither the notice of removal nor the underlying complaint includes sufficient information to assess the claims of citizenship of the plaintiff. In particular, and with respect to the allegations of Paragraph 3 of the removal notice, an individual's citizenship is based on the state in which he is domiciled (which may differ from the state of residence). See generally Heinen v. Northrop Grumman Corp., 671 F.3d 669, 670 (7th Cir. 2012). Absent the timely filing of an amended removal notice adequately alleging subject matter jurisdiction, this case will be remanded. Mailed notice (air, ) |
Filing 4 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by Conagra Brands, Inc. (McCall, Kara) |
CASE ASSIGNED to the Honorable John J. Tharp, Jr. Designated as Magistrate Judge the Honorable Mary M. Rowland. Case assignment: Random assignment. (ec, ) |
Filing 3 ATTORNEY Appearance for Defendants Conagra Brands, Inc., Conagra Foods, Inc. by Kara L McCall (McCall, Kara) |
Filing 2 CIVIL Cover Sheet (McCall, Kara) |
Filing 1 NOTICE of Removal from Circuit Court of Cook County, Illinois, case number (2019-L-004879) filed by Conagra Brands, Inc., Conagra Foods, Inc. Filing fee $ 400, receipt number 0752-15805610. (Attachments: #1 Exhibit A)(McCall, Kara) |
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