Monhollen v. General Motors, LLC
Arthur Monhollen |
General Motors, LLC |
6:2021cv00192 |
November 19, 2021 |
US District Court for the Eastern District of Kentucky |
Hanly A Ingram |
Robert E Wier |
Motor Vehicle Prod. Liability |
28 U.S.C. ยง 1446 pl |
Both |
Docket Report
This docket was last retrieved on December 17, 2021. A more recent docket listing may be available from PACER.
Document Text |
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Filing 10 SCHEDULING ORDER: 1. The parties shall exchange Rule 26(a)(1) disclosures by January 28, 2022. These disclosures need not be filed in the Court record. 2. The parties shall file any motions to join additional parties or amend pleadings by June 28, 2022. 3. The parties shall complete all fact discovery by May 26, 2023. This deadline means, as relevant, service of written discovery calculated to secure a response by and compliant with the deadline. 4. Per Rule 26(a)(2), no later than January 27, 2023, Plaintiffs shall disclose the identity of expert witnesses who may be used at trial, accompanied by written reports; These disclosures need not be filed in the Court record. No later than March 27, 2023, Defendants shall provide same. Plaintiff shall make his experts available for discovery depositions no later than March 3, 2023. Defendant shall make its experts available for discovery depositions no later than April 24, 2023. 5. No later than June 26, 2023, counsel for the parties shall file all dispositive motions. Response and reply time shall be governed by local rule. 6. In accordance with District Judge Wier's referral order (D.E. 4), the Court declines to schedule a pretrial conference, trial, or deadlines for related filings at this time. 7. The Court builds the case schedule based on party input. Modification of this schedule thus is disfavored and will only occur under the standards and mechanics of Rule 16 and/or Rule 6, as applicable.8. Other than the agreed-upon discovery limits within the parties' Rule 26(f) report, the default limits within the discovery rules apply. 9. TELEPHONIC STATUS CONFERENCE set for 9/2/2022 at 11:00 AM in LONDON before Magistrate Judge Hanly A. Ingram. The call will be off the record and for counsel only. To join the teleconference, the parties are DIRECTED to call AT&T Teleconferencing at 1-888-675-2535, to enter Access Code 8810053 (followed by "#"), and, when requested, enter the Security Code 21192 (followed by "#"). Signed by Magistrate Judge Hanly A. Ingram on 12/17/2021.(MM)cc: COR |
***FILE SUBMITTED TO CHAMBERS of Hanly A. Ingram for review: #9 Report of Rule 26(f) Planning Meeting (MM) |
Filing 9 JOINT REPORT of Rule 26(f) Planning Meeting. (Stewart, Kara) |
Filing 8 ORDER: granting #7 Motion to Appear Pro Hac Vice for Sarah T. Eibling for General Motors LLC. Signed by Magistrate Judge Hanly A. Ingram on 12/13/21. (SYD)cc: COR |
Filing 7 MOTION for Sarah T. Eibling to Appear Pro Hac Vice by General Motors, LLC ( Filing fee $125; receipt number AKYEDC-5143679)Motions referred to Hanly A. Ingram. (Attachments: #1 Exhibit Affidavit of Sarah Eibling, #2 Exhibit Certificate of Good Standing - South Carolina, #3 Proposed Order Proposed Order)(Stewart, Kara) |
BAR STATUS Check completed as to Sarah T. Eibling re #7 MOTION for Sarah T. Eibling to Appear Pro Hac Vice by General Motors, LLC ( Filing fee $125; receipt number AKYEDC-5143679). (SYD) |
Attorney Update. Attorney Sarah T. Eibling for General Motors, LLC added. (SYD) |
***MOTION SUBMITTED TO CHAMBERS of Hanly A. Ingram for review: re #7 MOTION for Sarah T. Eibling to Appear Pro Hac Vice by General Motors, LLC ( Filing fee $125; receipt number AKYEDC-5143679) (SYD) |
Filing 6 ANSWER to Complaint with Jury Demand by General Motors, LLC.(Stewart, Kara) |
Filing 5 ORDER FOR MEETING AND REPORT: (1) Within 21 days, the parties, by counsel, shall meet, either in person or by telephone, to consider the topics Rule 26(f)(2) mandates. (2) Within 14 days of the meeting, the parties shall file a joint status report containing: a. - e. Signed by Magistrate Judge Hanly A. Ingram on 11/22/2021. (Attachments: #1 MJ Consent)(MM)cc: COR |
Filing 4 STANDING CASE MANAGEMENT AND REFERRAL ORDER: 1. At the outset, the Court reminds the parties that, under Rule 1, they share with the Court the duty to construe, administer, and employ the Federal Rules of Civil Procedure to secure the just, speedy, and inexpensive determination of this action; 2. Pursuant to 28:636(b)(1) and Fed. R. Civ. P. 72, the Court refers this case to the appropriate United States Magistrate Judge for this Division; 3. Unless otherwise ordered, the Court retains for decision any motion dispositive of a claim or defense (as well as motions regulating the trial proof, including Daubert and motions in limine); 4. Concurrent with the filing of any Rule 12 motion, the moving party may file, as a separate motion, any request for a discovery stay pending resolution. The Court refers consideration of any such motion to the assigned Magistrate Judge; 5. Discovery Disputes shall be resolved as defined within this order; The Court DIRECTS the Clerk to enter this Standing Order in the undersigned's civil cases excepting Social Security, pro se, and prisoner post-conviction matters at case opening (or as the Court otherwise directs). Signed by Judge Robert E. Wier.. Signed by Judge Robert E. Wier on 11/13/2019.(JLC)cc: COR |
Filing 3 FRCP 7.1 DISCLOSURE STATEMENT by General Motors, LLC identifying Corporate Parent General Motors Company, Corporate Parent General Motors Holdings LLC for General Motors, LLC.. (JLC) |
Filing 1 NOTICE OF REMOVAL from Laurel County Circuit Court, case number 21-CI-00766. ( Filing fee $402; receipt number AKYEDC-5129005), filed by General Motors, LLC. (Attachments: #1 Civil Cover Sheet, #2 State Civil Cover Sheet, #3 State Court Docket Sheet, #4 State Court Complaint, #5 State Court General Motors Summons)(JLC) |
Conflict Check run. (JLC) |
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Plaintiff: Arthur Monhollen | |
Represented By: | E. Liddell Vaughn |
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Defendant: General Motors, LLC | |
Represented By: | Amanda McFarland Lockaby |
Represented By: | Kara MacCartie Stewart |
Represented By: | Sarah T. Eibling |
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