State Auto Property and Casualty Insurance Company et al v. Classic Dining Group LLC et al
State Auto Property and Casualty Insurance Company |
RT Real Estate of Southern Wisconsin LLC, Classic Restaurants, LLC Avon, Classic Restaurant Group, LLC LaSalle, Classic Dining of Portage, Inc., Classic Dining Kentucky Ave. Inc., Classic Dining Management Company, Inc., P.F.C. Restaurant Group, LLC, Classic Restaurants, LLC Oak Lawn, Classic Dining Crawfordsville, Inc., Classic Restaurants, LLC, PFC of Spring Hill, Inc., RT Restaurants of Southern Wisconsin LLC, PFC of Gurnee, Inc., Classic Restaurants, LLC Hoffman Estates, Classic Dining of Lafayette, Inc., Classic Dining Michigan Road, Inc., PFC of Aurora, Inc., Classic Dining of Shelbyville, Inc., Classic Restaurant Group, LLC Whiteland, Classic Restaurants, LLC Aurora, Classic Dining Castleton Inc., Classic Restaurants, LLC Elgin, Classic Dining of Bloomington, Inc., Classic Dining of Rockford, Inc., Classic Restaurant Group, LLC Hebron, Classic Dining of Lebanon, Inc., PFC of Michigan City, Inc., P.F.C. Management Company Inc., Classic Dining Group LLC, Classic Dining of Greenwood, Inc., Classic Dining Post Road, Inc., Classic Restaurant Group, LLC Beloit, Classic Restaurant Group, LLC, Classic Restaurants, LLC Batavia, Classic Restaurants, LLC Whitestown, Classic Dining Greenwood Mall, Inc., Classic Restaurant Group, LLC Spiceland and Classic Dining Keystone, Inc. |
1:2020cv04434 |
July 29, 2020 |
US District Court for the Northern District of Illinois |
John Robert Blakey |
Contract: Insurance |
28 U.S.C. § 1332 |
None |
Docket Report
This docket was last retrieved on September 14, 2020. A more recent docket listing may be available from PACER.
Document Text |
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Filing 17 RESPONSE by State Auto Property and Casualty Insurance Companyin Opposition to MOTION by Defendants Classic Restaurants, LLC, Classic Restaurant Group, LLC, PFC of Michigan City, Inc., Classic Dining of Greenwood, Inc., Classic Restaurant Group, LLC Hebron, Classic Dining of Shelbyville, Inc., Classic Dining Group LLC, Classic Din #11 (Attachments: #1 Exhibit Pappy's Barbershop Order, #2 Exhibit 10E Amended Order, #3 Exhibit Malaube Report and Recommendations, #4 Exhibit Diesel Barbershop Order, #5 Exhibit Social Life Transcript, #6 Exhibit Marathon Grill Order, #7 Exhibit JPML Transcript, #8 Exhibit Big Onion Joint Status Report)(Fleischer, Adam) |
Filing 16 MINUTE entry before the Honorable John Robert Blakey: The Court is in receipt of Defendant's motion to dismiss #11 . Plaintiff is advised to review the Court's Standing Order on Motions to Dismiss, which is available on the Court's homepage at www.ilnd.uscourts.gov. Consistent with the purpose of the Federal Rules "to secure the just, speedy, and inexpensive determination of every action and proceeding," Fed. R. Civ. P. 1, this Court's Standing Order requires Plaintiff to make an election as to whether Plaintiff will amend the complaint under Rule 15(a)(1), or stand on the current complaint and proceed with briefing on the motion to dismiss. If the non-moving party elects to amend its pleading in response to the motion to dismiss, then the moving party (unless ordered otherwise by this Court) shall file within 21 days of the amended pleading either: (1) an answer; or (2) a revised motion to dismiss. Mailed notice (gel, ) |
Filing 15 STATUS Report (Joint) by State Auto Property and Casualty Insurance Company (Allen, Elise) |
Filing 14 MEMORANDUM by Classic Dining Castleton Inc., Classic Dining Crawfordsville, Inc., Classic Dining Greenwood Mall, Inc., Classic Dining Group LLC, Classic Dining Kentucky Ave. Inc., Classic Dining Keystone, Inc., Classic Dining Management Company, Inc., Classic Dining Michigan Road, Inc., Classic Dining Post Road, Inc., Classic Dining of Bloomington, Inc., Classic Dining of Greenwood, Inc., Classic Dining of Lafayette, Inc., Classic Dining of Lebanon, Inc., Classic Dining of Portage, Inc., Classic Dining of Rockford, Inc., Classic Dining of Shelbyville, Inc., Classic Restaurant Group, LLC, Classic Restaurant Group, LLC Beloit, Classic Restaurant Group, LLC Hebron, Classic Restaurant Group, LLC LaSalle, Classic Restaurant Group, LLC Spiceland, Classic Restaurant Group, LLC Whiteland, Classic Restaurants, LLC, Classic Restaurants, LLC Aurora, Classic Restaurants, LLC Avon, Classic Restaurants, LLC Batavia, Classic Restaurants, LLC Elgin, Classic Restaurants, LLC Hoffman Estates, Classic Restaurants, LLC Oak Lawn, Classic Restaurants, LLC Whitestown, P.F.C. Management Company Inc., P.F.C. Restaurant Group, LLC, PFC of Aurora, Inc., PFC of Gurnee, Inc., PFC of Michigan City, Inc., PFC of Spring Hill, Inc., RT Real Estate of Southern Wisconsin LLC, RT Restaurants of Southern Wisconsin LLC in support of motion to dismiss,,,,, #11 Defendants' Memorandum of Law in Support of Their Motion to Dismiss or, In the Alternative, to Stay (Attachments: #1 Exhibit - A, #2 Exhibit - B, #3 Exhibit - C, #4 Exhibit - D)(O'Malley, Christopher) |
Filing 13 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by All Defendants Defendants' L.R. 3.2 Notification of Affiliates (O'Malley, Christopher) |
Filing 12 MEMORANDUM by Classic Dining Castleton Inc., Classic Dining Crawfordsville, Inc., Classic Dining Greenwood Mall, Inc., Classic Dining Group LLC, Classic Dining Kentucky Ave. Inc., Classic Dining Keystone, Inc., Classic Dining Management Company, Inc., Classic Dining Michigan Road, Inc., Classic Dining Post Road, Inc., Classic Dining of Bloomington, Inc., Classic Dining of Greenwood, Inc., Classic Dining of Lafayette, Inc., Classic Dining of Lebanon, Inc., Classic Dining of Portage, Inc., Classic Dining of Rockford, Inc., Classic Dining of Shelbyville, Inc., Classic Restaurant Group, LLC, Classic Restaurant Group, LLC Beloit, Classic Restaurant Group, LLC Hebron, Classic Restaurant Group, LLC LaSalle, Classic Restaurant Group, LLC Spiceland, Classic Restaurant Group, LLC Whiteland, Classic Restaurants, LLC, Classic Restaurants, LLC Aurora, Classic Restaurants, LLC Avon, Classic Restaurants, LLC Batavia, Classic Restaurants, LLC Elgin, Classic Restaurants, LLC Hoffman Estates, Classic Restaurants, LLC Oak Lawn, Classic Restaurants, LLC Whitestown, P.F.C. Management Company Inc., P.F.C. Restaurant Group, LLC, PFC of Aurora, Inc., PFC of Gurnee, Inc., PFC of Michigan City, Inc., PFC of Spring Hill, Inc., RT Real Estate of Southern Wisconsin LLC, RT Restaurants of Southern Wisconsin LLC in support of motion to dismiss,,,,, #11 Defendants' Memorandum of Law in Support of Their Motion to Dismiss or, in the Alternative, to Stay (O'Malley, Christopher) |
Filing 11 MOTION by Defendants Classic Restaurants, LLC, Classic Restaurant Group, LLC, PFC of Michigan City, Inc., Classic Dining of Greenwood, Inc., Classic Restaurant Group, LLC Hebron, Classic Dining of Shelbyville, Inc., Classic Dining Group LLC, Classic Dining Post Road, Inc., Classic Restaurants, LLC Batavia, Classic Dining of Rockford, Inc., Classic Restaurant Group, LLC Whiteland, Classic Restaurant Group, LLC Beloit, Classic Restaurant Group, LLC LaSalle, PFC of Gurnee, Inc., Classic Dining of Lebanon, Inc., P.F.C. Management Company Inc., Classic Dining Michigan Road, Inc., P.F.C. Restaurant Group, LLC, Classic Restaurants, LLC Hoffman Estates, Classic Dining of Bloomington, Inc., PFC of Spring Hill, Inc., Classic Dining Management Company, Inc., Classic Dining of Lafayette, Inc., Classic Restaurant Group, LLC Spiceland, Classic Dining Crawfordsville, Inc., Classic Restaurants, LLC Whitestown, RT Real Estate of Southern Wisconsin LLC, Classic Restaurants, LLC Avon, Classic Dining Keystone, Inc., Classic Dining Greenwood Mall, Inc., Classic Dining of Portage, Inc., Classic Dining Kentucky Ave. Inc., Classic Restaurants, LLC Aurora, RT Restaurants of Southern Wisconsin LLC, Classic Restaurants, LLC Elgin, Classic Restaurants, LLC Oak Lawn, PFC of Aurora, Inc., Classic Dining Castleton Inc. to dismiss Defendants' Motion to Dismiss or, in the Alternative, to Stay (O'Malley, Christopher) |
Filing 10 ATTORNEY Appearance for Defendants Classic Dining Castleton Inc., Classic Dining Crawfordsville, Inc., Classic Dining Greenwood Mall, Inc., Classic Dining Group LLC, Classic Dining Kentucky Ave. Inc., Classic Dining Keystone, Inc., Classic Dining Management Company, Inc., Classic Dining Michigan Road, Inc., Classic Dining Post Road, Inc., Classic Dining of Bloomington, Inc., Classic Dining of Greenwood, Inc., Classic Dining of Lafayette, Inc., Classic Dining of Lebanon, Inc., Classic Dining of Portage, Inc., Classic Dining of Rockford, Inc., Classic Dining of Shelbyville, Inc., Classic Restaurant Group, LLC, Classic Restaurant Group, LLC Beloit, Classic Restaurant Group, LLC Hebron, Classic Restaurant Group, LLC LaSalle, Classic Restaurant Group, LLC Spiceland, Classic Restaurant Group, LLC Whiteland, Classic Restaurants, LLC, Classic Restaurants, LLC Aurora, Classic Restaurants, LLC Avon, Classic Restaurants, LLC Batavia, Classic Restaurants, LLC Elgin, Classic Restaurants, LLC Hoffman Estates, Classic Restaurants, LLC Oak Lawn, Classic Restaurants, LLC Whitestown, P.F.C. Management Company Inc., P.F.C. Restaurant Group, LLC, PFC of Aurora, Inc., PFC of Gurnee, Inc., PFC of Michigan City, Inc., PFC of Spring Hill, Inc., RT Real Estate of Southern Wisconsin LLC, RT Restaurants of Southern Wisconsin LLC by Christopher J. O'Malley (O'Malley, Christopher) |
Filing 9 SUMMONS Returned Executed by State Auto Property and Casualty Insurance Company as to All Defendants on 8/6/2020, answer due 8/27/2020. (Allen, Elise) (Docket Text Modified by Clerk's Office on 8/10/2020) (pj, ). |
SUMMONS Issued as to Defendants Classic Dining Castleton Inc., Classic Dining Crawfordsville, Inc., Classic Dining Greenwood Mall, Inc., Classic Dining Group LLC, Classic Dining Kentucky Ave. Inc., Classic Dining Keystone, Inc., Classic Dining Management Company, Inc., Classic Dining Michigan Road, Inc., Classic Dining Post Road, Inc., Classic Dining of Bloomington, Inc., Classic Dining of Greenwood, Inc., Classic Dining of Lafayette, Inc., Classic Dining of Lebanon, Inc., Classic Dining of Portage, Inc., Classic Dining of Rockford, Inc., Classic Dining of Shelbyville, Inc., Classic Restaurant Group, LLC, Classic Restaurant Group, LLC Beloit, Classic Restaurant Group, LLC Hebron, Classic Restaurant Group, LLC LaSalle, Classic Restaurant Group, LLC Spiceland, Classic Restaurant Group, LLC Whiteland, Classic Restaurants, LLC, Classic Restaurants, LLC Aurora, Classic Restaurants, LLC Avon, Classic Restaurants, LLC Batavia, Classic Restaurants, LLC Elgin, Classic Restaurants, LLC Hoffman Estates, Classic Restaurants, LLC Oak Lawn, Classic Restaurants, LLC Whitestown, P.F.C. Management Company Inc., P.F.C. Restaurant Group, LLC, PFC of Aurora, Inc., PFC of Gurnee, Inc., PFC of Michigan City, Inc., PFC of Spring Hill, Inc., RT Real Estate of Southern Wisconsin LLC, RT Restaurants of Southern Wisconsin LLC. (ng, ) |
Filing 8 MINUTE entry before the Honorable John Robert Blakey: This case has been assigned to the calendar of the Honorable John Robert Blakey. The litigants are ordered to review and fully comply with all of this Court's standing orders, which are available on Judge Blakey's information page on the Court's official website: http://www.ilnd.uscourts.gov/. In addition, the parties must file a status report no later than 8/28/2020, using the model template set forth in this Court's standing order regarding Initial (or Reassignment) Status Conferences. Failure by any party to file the status report by the requisite deadline (either jointly or, if necessary, individually with an explanation as to why a joint report could not be filed) may result in a summary dismissal of the case for failure to prosecute, or an entry of default against any served defendant(s) failing to comply with this order. During the litigation, the attorneys must also appear at all hearing dates set by the Court or noticed by the parties. If an attorney has a conflict with a set court date, the attorney must notify Judge Blakey's Courtroom Deputy, Gloria Lewis, at (312)818-6699. If appropriate, the Court will then reset the matter. Advising opposing counsel of a scheduling conflict is not a substitute for communicating directly with the Court. Mailed notice (gel, ) |
Filing 6 ATTORNEY Appearance for Plaintiff State Auto Property and Casualty Insurance Company by David J. Buishas (Buishas, David) |
Filing 5 ATTORNEY Appearance for Plaintiff State Auto Property and Casualty Insurance Company by Elise Diane Allen (Allen, Elise) |
Filing 4 NOTIFICATION of Affiliates pursuant to Local Rule 3.2 by State Auto Property and Casualty Insurance Company (Fleischer, Adam) |
Filing 3 ATTORNEY Appearance for Plaintiff State Auto Property and Casualty Insurance Company by Adam Hoyt Fleischer (Fleischer, Adam) |
Filing 2 CIVIL Cover Sheet (Fleischer, Adam) |
Filing 1 COMPLAINT filed by State Auto Property and Casualty Insurance Company; Filing fee $ 400, receipt number 0752-17261910. (Attachments: #1 Exhibit IL 2020-07 Order, #2 Exhibit IL 2020-10 Order, #3 Exhibit IN 20-04 Order, #4 Exhibit IN 20-08 Order, #5 Exhibit Greendale, WI Order, #6 Exhibit WI Order #5, #7 Exhibit WI Order #12, #8 Exhibit CD Property Loss Notice, #9 Exhibit 4/7/20 SAP letter, #10 Exhibit 4/21/20 SAP letter, #11 Exhibit 5/8/20 CD letter, #12 Exhibit 5/29/20 CD letter, #13 Exhibit 6/10/20 SAP letter, #14 Exhibit RT Property Loss Notice, #15 Exhibit 4/17/20 SAP letter, #16 Exhibit Ohio Complaint, #17 Exhibit CD Policy, #18 Exhibit RT Policy)(Fleischer, Adam) |
CASE ASSIGNED to the Honorable John Robert Blakey. Designated as Magistrate Judge the Honorable Beth W. Jantz. Case assignment: Random assignment. (daj, ) |
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