Crooks v. AW Chesterton Company et al
David Crooks |
AW Chesterton Company, AO Smith Corporation, ABB Inc, AFC-Holcroft, LLC, Air & Liquid Systems, Inc., Successor by Merger to Buffalo Pumps, Inc., Ajax Magnethermic Corporation, Armstrong International, Inc., Armstrong Pumps, Inc., Aurora Pump Company, Baker Hughes, Incorporated, Blackmer Pump Company, Bryan Steam Corporation, Burnham, LLC, BW/IP Inc, Carrier Corporation, Copes-Vulcan, Inc., Crane Company, Dana Companies, LLC., DAP, Inc., Dezurik, Inc., Durametallic Corporation, Eaton Corporation f/k/a Cutler-Hammer, Federal-Mogul Asbestos Personal Injury Trust, Flowserve US Inc., as Successor-In-Interest to Durametallic Corporation, Flowserve US, Inc., aka Flowserve Pump Corp., Individually and as Successor-in-Interest to Durco Pumps, Flowserve US Inc., aka Flowserve Pump Comp., Individually and as Successor-in-Interest to The Edward Valve and Manufacturing Company, and as Successor-in-Interest to Rockwell Manufacturing Company, FLSmith Keeler Dorr Oliver, Inc., fka Keller/Dorr-Oliver, FMC Corporation, FMC Corporation, Individually and as Successor-in-Interest to Chicago Pump Company, Foster Wheeler Energy Corporation, Gardner Denver, Inc., General Electric Company, Gould Electronics, Inc., Gould Pumps, Inc., Greene, Tweed & Co., Grinnell LLC, H.B. Fuller Company (Benjamin Foster Co.), Henry Pratt Company, Howden Buffalo, Inc., IMO Industries, Inc., ITT Corporation, ITT Corporation fka Bell & Gossett Pump Company, John Crane, Inc., Johnson Controls, Inc., Joy Global Underground Mining LLC, Krogh Pump Company, Inc., Layne & Bowler, Inc., Lindberg, Magnatrol Valve Corporation, Marshall Engineered Products Company, LLC, McMaster-Carr Supply Company, Metropolitan Life Insurance Co, Milton Roy Company, Mueller Co., LTD., Nagle Pumps, Inc., Paramount Global, Parker-Hannifin Corporation, Redco Corporation f/k/a Crane Co., Ric-Wil Incorporated, Riley Power, Inc., Robertshaw Controls Company, Rockwell Automation, Rotork Controls, Inc., Schneider Electric USA, Inc., Siemens Industry, Inc., Spence Engineering Company, Inc., Spirax Sarco, Inc., SPX Cooling Technologies Inc., Sterling Fluid Systems (USA) LLC, Taco, Inc., The Goodyear Tire & Rubber Company, The JR Clarkson Company, The William Powell Company, Union Carbide Corporation, Union Pumps, Uniroyal Inc, Warren Pumps, LLC, Weir Valves & Controls USA, Inc., Welton Rubber Company, York International Corporation, Yuba Heat Transfer, LLC and Zurn Industries, LLC. |
1:2022cv06089 |
November 3, 2022 |
US District Court for the Northern District of Illinois |
Matthew F Kennelly |
P.I. : Asbestos |
28 U.S.C. § 1441 Petition for Removal- Asbestos Litigation |
Defendant |
Docket Report
This docket was last retrieved on November 14, 2022. A more recent docket listing may be available from PACER.
Document Text |
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CLERK'S NOTICE: Pursuant to Local Rule 73.1(b), a United States Magistrate Judge of this court is available to conduct all proceedings in this civil action. If all parties consent to have the currently assigned United States Magistrate Judge conduct all proceedings in this case, including trial, the entry of final judgment, and all post-trial proceedings, all parties must sign their names on the attached #Consent To# form. This consent form is eligible for filing only if executed by all parties. The parties can also express their consent to jurisdiction by a magistrate judge in any joint filing, including the Joint Initial Status Report or proposed Case Management Order. (daj, ) |
Filing 13 MAILED REMAND with certified copy of order dated 11/09/2022 and letter to Circuit Court of Cook County via email. (rc, ) |
Filing 12 MINUTE entry before the Honorable Matthew F. Kennelly: Pursuant to defendant Foster Wheeler Energy Corp.'s withdrawal of its notice of removal and its supplemental statement filed on 11/7/2022 the Clerk is directed to remand this case forthwith to the Circuit Court of Cook County. Plaintiff's motion to remand #11 is terminated as moot. The telephonic hearing set for 11/10/2022 is vacated. Civil case terminated. Mailed notice. (mma, ) |
Filing 11 MOTION by Plaintiff David Crooks to remand Defendant Foster Wheeler Energy Corporation's Notice of Removal (Attachments: #1 Exhibit Exhibit A to Plaintiff's Motion to Remand Defendant Foster Wheeler Energy Corporation's Notice of Removal, #2 Exhibit Exhibit B to Plaintiff's Motion to Remand Defendant Foster Wheeler Energy Corporation's Notice of Removal, #3 Exhibit Exhibit C to Plaintiff's Motion to Remand Defendant Foster Wheeler Energy Corporation's Notice of Removal, #4 Exhibit Exhibit D to Plaintiff's Motion to Remand Defendant Foster Wheeler Energy Corporation's Notice of Removal)(Monty, Megan) |
Filing 10 NOTICE by David Crooks of Plaintiff's Motion to Remand Defendant Foster Wheeler Energy Corporation's Notice of Removal (Monty, Megan) |
Filing 9 ATTORNEY Appearance for Plaintiff David Crooks by Megan Fahey Monty and Lawrence R. Weisler (Monty, Megan) |
Filing 8 Supplemental Statement Following the Court's Minute Order of Saturday, November 5th, 2022 STATEMENT by Foster Wheeler Energy Corporation (Hart, Steven) |
Filing 7 MINUTE entry before the Honorable Matthew F. Kennelly: Defendant Foster Wheeler Energy Corp. removed this case to federal court based on the "federal officer" removal statute, 28 USC 1442(a)(1), alleging that it has a federal defense to plaintiff's claims. The removal of the case to federal court was, of course, accomplished by filing the notice of removal. Then, the next day, Foster Wheeler filed a document asking to "withdraw" its removal of the case. This document provided no explanation. The Court wants one and also wants to ascertain the likelihood that one or more of the six-dozen-plus defendants remaining in the case will hereafter remove the case again. The case is set for a telephonic hearing on 11/10/2022 at 9:45 AM, using call-in number 888-684-8852, access code 746-1053. Foster Wheeler's attorney is directed to immediately provide notice of this order to plaintiff's attorney (who will not receive this notice via CM/ECF because of the recent removal of the case) and is also directed to participate in the hearing. Other defense counsel may also participate if they wish. (mk) |
Filing 6 MAILED notice of removal letter to counsel of record. (nsf, ) |
Filing 5 MOTION by Defendant Foster Wheeler Energy Corporation to withdraw Motion to Withdraw Petition of Removal (Hart, Steven) |
Filing 4 F.R.C.P. 7.1 and Local Rule 3.2 Corporate Disclosure by Foster Wheeler Energy Corporation (Hart, Steven) |
Filing 3 ATTORNEY Appearance for Defendant Foster Wheeler Energy Corporation by Steven Alan Hart (Hart, Steven) |
Filing 2 CIVIL Cover Sheet (Hart, Steven) |
Filing 1 NOTICE of Removal from Circuit Court of Cook County, case number (2022L008425) filed by Foster Wheeler Energy Corporation Filing fee $ 402, receipt number AILNDC-20010951. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit B)(Hart, Steven) |
CASE ASSIGNED to the Honorable Matthew F. Kennelly. Designated as Magistrate Judge the Honorable Gabriel A. Fuentes. Case assignment: Random assignment. (jb, ) |
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