RAYNOR v. LAW OFFICE OF KEITH S. SHINDLER, LTD. et al
STEVEN M. RAYNOR |
LAW OFFICE OF KEITH S. SHINDLER, LTD. doing business as SHINDLER & JOYCE and CAVALRY SPV I, LLC |
1:2021cv01471 |
June 2, 2021 |
US District Court for the Southern District of Indiana |
Mark J Dinsmore |
Richard L Young |
Consumer Credit |
28 U.S.C. § 1331 |
Both |
Docket Report
This docket was last retrieved on July 28, 2021. A more recent docket listing may be available from PACER.
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Filing 21 ORDER denying Defendants' #19 Joint Motion to Stay Responsive Pleadings Deadline and Stay Any Entry on Pre-Trial Deadlines - Defendants' response to Plaintiff's Amended Complaint remains due on August 6, 2021 [Dkt. #18 ], and the telephonic initial pretrial conference in this matter remains scheduled for August 20, 2021 at 1:30 p.m. (Eastern) [Dkt. #17 ]. Signed by Magistrate Judge Mark J. Dinsmore on 7/28/2021. (SWM) |
Filing 20 RESPONSE in Opposition re #19 Joint MOTION to Stay Responsive Pleading Deadline and Stay Any Entry on Pre-Trial Deadlines , filed by Plaintiff STEVEN M. RAYNOR. (Duff, Robert) |
Filing 19 Joint MOTION to Stay Responsive Pleading Deadline and Stay Any Entry on Pre-Trial Deadlines, filed by Defendant LAW OFFICE OF KEITH S. SHINDLER, LTD.. (Attachments: #1 Text of Proposed Order)(Kalas, Jennifer) |
Filing 18 ORDER CLARIFYING #12 DEFENDANTS' NOTICE OF INITIAL ENLARGEMENT OF TIME: On July 6, 2021, Defendants filed a L.R. 6-1 Notice of Initial Enlargement of Time #12 purporting to enlarge their deadline to respond to Plaintiff's Amended Complaint by 29 days from July 9, 2021 to August 7, 2021. Local Rule 6-1(a) provides that any unopposed initial enlargement of time to respond to a pleading may not exceed 28 days. S.D. Ind. L.R. 6-1(a). Accordingly, the Court hereby clarifies that Defendants' deadline to respond to Plaintiff's Amended Complaint is hereby enlarged by 28 days from July 9, 2021 to and including August 6, 2021. No further enlargement of this deadline is anticipated. SO ORDERED. Signed by Magistrate Judge Mark J. Dinsmore on 7/19/2021. (GD) |
Filing 17 AMENDED SCHEDULING ORDER: The Court, sua sponte, hereby CONTINUES the 7/19/2021 Telephonic Initial Pretrial Conference to 8/20/2021 at 1:30 PM (Eastern Time). SO ORDERED. Signed by Magistrate Judge Mark J. Dinsmore on 7/19/2021. (GD) |
Filing 16 RESPONSE in Opposition re #10 MOTION to Remand , filed by Defendants CAVALRY SPV I, LLC, LAW OFFICE OF KEITH S. SHINDLER, LTD.. (Kalas, Jennifer) |
Filing 15 NOTICE of Appearance by James J. Morrissey on behalf of Defendant CAVALRY SPV I, LLC. (Morrissey, James) |
Filing 13 CASE MANAGEMENT PLAN TENDERED, filed by Defendant LAW OFFICE OF KEITH S. SHINDLER, LTD. . (Kalas, Jennifer) |
Filing 12 NOTICE of Parties' First Extension of Time re Filing a response to pleading defined by Fed. R. Civ. P. 7(a), filed by Defendant LAW OFFICE OF KEITH S. SHINDLER, LTD.. (Kalas, Jennifer) |
Filing 11 BRIEF/MEMORANDUM in Support re #10 MOTION to Remand , filed by Plaintiff STEVEN M. RAYNOR. (Attachments: #1 Exhibit A, June 3, 2021 letter)(Duff, Robert) |
Filing 10 MOTION to Remand , filed by Plaintiff STEVEN M. RAYNOR. (Duff, Robert) |
Filing 9 AMENDED COMPLAINT against CAVALRY SPV I, LLC, LAW OFFICE OF KEITH S. SHINDLER, LTD., filed by STEVEN M. RAYNOR. (Attachments: #1 Exhibit A, Summons)(Duff, Robert) |
Filing 8 SCHEDULING ORDER: Initial Pretrial Conference set for 7/19/2021 02:00 PM (Eastern Time) in Telephonic before Magistrate Judge Mark J. Dinsmore. Counsel shall attend the conference by calling the designated telephone number, to be provided by the Court via email generated by the Court's ECF system. The parties shall file a proposed Case Management Plan ("CMP") no fewer than seven days before the pretrial conference. Section III(A) through (E) of the proposed CMP shall include the following deadlines (see Order for established deadlines and additional information). Signed by Magistrate Judge Mark J. Dinsmore on 6/10/2021.(SWM) |
Filing 7 NOTICE of Parties' First Extension of Time re Filing a response to pleading defined by Fed. R. Civ. P. 7(a), filed by Defendant LAW OFFICE OF KEITH S. SHINDLER, LTD.. (Kalas, Jennifer) |
Filing 6 Corporate Disclosure Statement by CAVALRY SPV I, LLC. (Christakis, Anna-Katrina) |
Filing 5 NOTICE of Appearance by Anna-Katrina S. Christakis on behalf of Defendant CAVALRY SPV I, LLC. (Christakis, Anna-Katrina) |
Filing 4 MAGISTRATE JUDGE's NOTICE of Availability to Exercise Jurisdiction issued. (JRB) |
Filing 3 NOTICE of Appearance by David M. Schultz on behalf of Defendant LAW OFFICE OF KEITH S. SHINDLER, LTD. d/b/a SHINDLER & JOYCE. (Schultz, David) |
Filing 2 NOTICE of Appearance by Jennifer Jay Kalas on behalf of Defendant LAW OFFICE OF KEITH S. SHINDLER, LTD. d/b/a SHINDLER & JOYCE. (Kalas, Jennifer) |
Filing 1 NOTICE OF REMOVAL from Marion Superior, case number 49D07-2105-CT-014652, filed by LAW OFFICE OF KEITH S. SHINDLER, LTD. d/b/a SHINDLER & JOYCE. (Filing fee $402, receipt number 0756-6591560) (Attachments: #1 State Court Record Docket Sheet, Complaint, Appearance, Summons, Summons, Motion for Enlargement, Order, Appearance, #2 Complaint, #3 Civil Cover Sheet)(Kalas, Jennifer) |
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