State Farm Fire and Casualty Company, as Subrogee of Taizoon & Shilpa Baxamusa v. Research Products Corporation
State Farm Fire and Casualty Company, as Subrogee of Taizoon & Shilpa Baxamusa |
Research Products Corporation |
1:2021cv01647 |
March 25, 2021 |
US District Court for the Northern District of Illinois |
Edmond E Chang |
Prop. Damage Prod. Liability |
28 U.S.C. ยง 1332 |
Plaintiff |
Docket Report
This docket was last retrieved on May 10, 2021. A more recent docket listing may be available from PACER.
Document Text |
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Filing 18 CERTIFICATE of Service Plaintiff's 26(a)(1) Disclosure by William J. Hoffmann on behalf of State Farm Fire and Casualty Company, as Subrogee of Taizoon & Shilpa Baxamusa (Hoffmann, William) |
Filing 17 MINUTE entry before the Honorable Edmond E. Chang: On review of the status report, R. 14, it is not clear why the proposed deadlines are so long for Rule 26(a)(1) disclosures (12/30/2021) and to issue the first-round of written discovery requests (11/26/2021). Perhaps the Court is missing something, but even the potential filing of the third-party claim would not justify those delays. The Court sets the following schedule. Rule 26(a)(1) disclosures due 05/10/2021.The first round of written discovery requests must be issued by 05/17/2021. Fact discovery must be completed by 02/14/2022. Rule 16(b) deadline to add parties or amend pleadings is 12/20/2021. The deadline to serve subpoenas is 12/20/2021, absent good cause (e.g., genuine surprise despite due diligence). By 01/17/2022, the parties shall file a Deposition Scheduling Report listing the depositions already taken and (more importantly) the remaining deponents, all of whom must have ***confirmed*** deposition dates (not just proposed dates). Any person not on that Report will presumptively not be deposed without good cause (e.g., genuine surprise despite due diligence). If deponents are slow in confirming deposition dates, the parties should use the Report deadline to urge each other and non-parties to provide confirmed dates to avoid a motion to compel in advance of the deadline. The Court will set the expert schedule later. If the Defendant is going to file a third-party claim against the installer (Von Nat Heating), then the Defendant shall do so promptly so that discovery can proceed together as much as practicable. The tracking status hearing of 04/23/2021 is reset to 07/09/2021 at 8:30 a.m., but to track the case only (no appearance is required, the case will not be called). Instead, the parties shall file a discovery progress report by 07/02/2021. Emailed notice (mw, ) |
Filing 16 Corporate Disclosure Statement STATEMENT by Research Products Corporation (Monical, John) |
Filing 15 CERTIFICATE of Service by William J. Hoffmann on behalf of State Farm Fire and Casualty Company, as Subrogee of Taizoon & Shilpa Baxamusa regarding status report #14 (Hoffmann, William) |
Filing 14 STATUS Report Initial by State Farm Fire and Casualty Company, as Subrogee of Taizoon & Shilpa Baxamusa (Hoffmann, William) |
Filing 13 MINUTE entry before the Honorable Edmond E. Chang: Initial tracking status hearing set for 04/23/2021 at 8:30 a.m. to track the case only (no appearance is required, the case will not be called). Instead, the Court will set the case schedule after reviewing the written status report. The parties must file a joint initial status report with the content described in the attached status report requirements by 04/16/2021. Plaintiff must still file the report even if Defendant has not responded to requests to craft a joint report. If not all Defendants have been served, then Plaintiff must complete the part of the report on the progress of service. Also, counsel must carefully review Judge Chang's Case Management Procedures, available online at ilnd.uscourts.gov (navigate to Judges / District Judges / Judge Edmond E. Chang). Because the Procedures are occasionally revised, counsel must read them anew even if the counsel or the party has appeared before Judge Chang in other cases. Emailed notice (Attachments: #1 Status Report Requirements) (mw, ) |
Filing 12 CERTIFICATE of Service by Jonathan J. Tofilon on behalf of State Farm Fire and Casualty Company, as Subrogee of Taizoon & Shilpa Baxamusa regarding attorney appearance #11 (Tofilon, Jonathan) |
Filing 11 ATTORNEY Appearance for Plaintiff State Farm Fire and Casualty Company, as Subrogee of Taizoon & Shilpa Baxamusa by Jonathan J. Tofilon (Tofilon, Jonathan) |
Filing 10 CERTIFICATE of Service by William J. Hoffmann on behalf of State Farm Fire and Casualty Company, as Subrogee of Taizoon & Shilpa Baxamusa regarding attorney appearance #9 (Hoffmann, William) |
Filing 9 ATTORNEY Appearance for Plaintiff State Farm Fire and Casualty Company, as Subrogee of Taizoon & Shilpa Baxamusa by William J. Hoffmann (Hoffmann, William) |
Filing 8 ANSWER to Complaint by Research Products Corporation(Monical, John) |
Filing 7 MAILED Notice of Removal letter to counsel of record. (rc, ) |
Filing 6 ATTORNEY Appearance for Defendant Research Products Corporation by Katelyn Marie Hodgman (Hodgman, Katelyn) |
Filing 5 ATTORNEY Appearance for Defendant Research Products Corporation by Mitchell Benjamin Goldberg (Goldberg, Mitchell) |
Filing 4 ATTORNEY Appearance for Defendant Research Products Corporation by Peter E. Cooper (Cooper, Peter) |
Filing 3 ATTORNEY Appearance for Defendant Research Products Corporation by John Scott Monical (Monical, John) |
Filing 2 CIVIL Cover Sheet (Monical, John) |
Filing 1 NOTICE of Removal from Circuit Court for the 19th Judicial Circuit, Lake County, Illinois, case number (21L00000113) filed by Research Products Corporation Filing fee $ 402, receipt number 0752-18058279. (Attachments: #1 Exhibit A & B)(Monical, John) |
CASE ASSIGNED to the Honorable Edmond E. Chang. Designated as Magistrate Judge the Honorable Jeffrey Cole. Case assignment: Random assignment. (sxh, ) |
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Plaintiff: State Farm Fire and Casualty Company, as Subrogee of Taizoon & Shilpa Baxamusa | |
Represented By: | William J. Hoffmann |
Represented By: | Jonathan J. Tofilon |
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Defendant: Research Products Corporation | |
Represented By: | Katelyn Marie Hodgman |
Represented By: | Peter E. Cooper |
Represented By: | John Scott Monical |
Represented By: | Mitchell Benjamin Goldberg |
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