Accident Fund Insurance Company of America v. Aaron Enterpises, Inc.
Accident Fund Insurance Company of America |
Aaron Enterpises, Inc. |
8:2020cv03115 |
October 27, 2020 |
US District Court for the District of Maryland |
Peter J Messitte |
P.I.: Other |
28 U.S.C. ยง 1441 |
None |
Docket Report
This docket was last retrieved on December 11, 2020. A more recent docket listing may be available from PACER.
Document Text |
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Filing 13 PAPERLESS NOTICE OF SCHEDULING OF MOTIONS HEARING and advising counsel/parties of record that oral argument on #8 Defendants Motion to Dismiss will be heard before Judge Peter J. Messitte on Tuesday, March 30, 2021 at 11:00 a.m. via ZoomGov. The parties will be allotted one and one-half (1 1/2) hours for total argument. Counsel should advise in writing immediately if they expect oral argument to exceed the allotted time frame. PLEASE ALSO NOTE: Counsel should mail or hand deliver copies of the principal cases on which they intend to rely during oral argument to the Courthouse by no later than Friday, March 26, 2021. Please also highlight the appropriate text.(jmhs, Chambers) |
Filing 12 RESPONSE in Opposition re #8 MOTION to Dismiss for Insufficient Service of Process filed by Accident Fund Insurance Company of America.(Ferrusi, Coriolanus) |
Filing 11 REPLY to Response to Motion re #8 MOTION to Dismiss for Insufficient Service of Process Motion to Strike Plaintiff's Untimely Opposition or in the Alternative Reply Thereto filed by Aaron Enterpises, Inc..(Bell, Colin) |
Filing 10 Local Rule 103.3 Disclosure Statement by Accident Fund Insurance Company of America (Ferrusi, Coriolanus) |
Filing 9 RESPONSE in Opposition re #8 MOTION to Dismiss for Insufficient Service of Process by Accident Fund Insurance Company of America. (Attachments: #1 Exhibit, #2 Exhibit, #3 Exhibit, #4 Exhibit, #5 Text of Proposed Order, #6 Supplement 103.3 disclosure)(Ferrusi, Coriolanus) |
Filing 8 MOTION to Dismiss for Insufficient Service of Process by Aaron Enterpises, Inc. (Attachments: #1 Exhibit 1 - Transmittal Summary, #2 Exhibit 2 - Envelope, #3 Exhibit 3 - Tracking History, #4 Exhibit 4 - Certfied Mail Rules, #5 Text of Proposed Order)(Bell, Colin) |
Filing 7 Correspondence re: Statement in Response to Standing Order Concerning Removal (Bell, Colin) |
Filing 6 Standing Order Concerning Removal re #1 Notice of Removal,, filed by Aaron Enterpises, Inc.. Signed by Judge Peter J. Messitte on 10/28/2020. (heps, Deputy Clerk) |
Filing 5 STATE COURT COMPLAINT against Aaron Enterpises, Inc., filed by Accident Fund Insurance Company of America.(heps, Deputy Clerk) |
THE ABOVE DOCUMENTS (5-5) ARE COPIES OF ORIGINAL PAPERS FILED IN THE CIRCUIT COURT FOR MONTGOMERY COUNTY MARYLAND. (heps, Deputy Clerk) |
Filing 4 CERTIFICATE of Counsel re #1 Notice of Removal,, Notice to Adverse Party and State Court by Colin Bell on behalf of Aaron Enterpises, Inc. (Attachments: #1 Attachment Notice to Adverse Party of Removal, #2 Attachment Filing in state court giving notice of Removal)(Bell, Colin) |
Filing 3 Local Rule 103.5 Certificate(Bell, Colin) |
Filing 2 Local Rule 103.3 Disclosure Statement by Aaron Enterpises, Inc. identifying Other Affiliate Shiloh Paving & Excavating, Inc., Other Affiliate Aaron Leasing Company, LLC for Aaron Enterpises, Inc..(Bell, Colin) |
Filing 1 NOTICE OF REMOVAL from Montgomery County Circuit Court, case number 483531-V. ( Filing fee $ 400 receipt number 0416-8931883), filed by Aaron Enterpises, Inc.. (Attachments: #1 Exhibit 1 to Removal state ct complaint, #2 Exhibit 2 to Removal civil case info report, #3 Exhibit 3 to Removal writ of summons, #4 Exhibit 4 to Removal notice of new case no., #5 Exhibit 5 to Removal scheduling order, #6 Exhibit 6 to Removal scheduling notice, #7 Exhibit 7 to Removal order for settlement conference, #8 Exhibit, #9 Civil Cover Sheet)(Bell, Colin) |
Case Assigned to Judge Peter J. Messitte. (ko, Deputy Clerk) |
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Plaintiff: Accident Fund Insurance Company of America | |
Represented By: | Craig Kaiser Ronald |
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Defendant: Aaron Enterpises, Inc. | |
Represented By: | Colin Bell |
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