Evitts et al v. Syngenta AG et al
Donna Evitts, JAMES EVITTS and Estate of George Evitts |
Syngenta AG, Syngenta Crop Protection, LLC, Chevron USA Inc., Jay Byrne, V-Fluence Interactive Public Relations, Inc. and Chevron U.S.A. Inc. |
4:2023cv00733 |
June 2, 2023 |
US District Court for the Eastern District of Missouri |
Stephen R Clark |
Personal Inj. Prod. Liability |
28 U.S.C. § 1332 Diversity-Personal Injury |
Defendant |
Docket Report
This docket was last retrieved on June 14, 2023. A more recent docket listing may be available from PACER.
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Filing 28 ORDER OF MDL TRANSFER to: Southern District of Illinois. Case transferred via CM/ECF extraction. Signed by Tiffany D. Pete on 6/14/23. (JWD) |
Filing 27 DISCLOSURE STATEMENT by Donna Evitts. No corporate parents or affiliates identified. (Corrigan, James) |
Filing 26 CONDITIONAL TRANSFER ORDER (CTO-42) regarding MDL 3004 by Clerk of the Panel. Signed by Tiffany D. Pete on 6/14/23. (JWD) |
Filing 25 Docket Text ORDER: The Court grants #23 and #24 Motion for Leave to Appear Pro Hac Vice. Signed by Chief District Judge Stephen R. Clark on 6/14/2023. (CLT) |
***REMARK: Case transferred from Missouri Eastern has been opened in Southern District of Illinois as case 3:23-pq-02037, filed 06/14/2023. (JWD) |
Filing 24 MOTION for Leave to Appear Pro Hac Vice Patrick L. Butler. The Certificate of Good Standing was attached.(Filing fee $150 receipt number AMOEDC-9997795) by Defendant Syngenta Crop Protection, LLC. (Attachments: #1 Certificate of Good Standing Patrick L. Butler)(Butler, Patrick) |
Filing 23 MOTION for Leave to Appear Pro Hac Vice Ragan Naresh. The Certificate of Good Standing was attached.(Filing fee $150 receipt number AMOEDC-9997786) by Defendant Syngenta Crop Protection, LLC. (Attachments: #1 Certificate of Good Standing Ragan Naresh)(Naresh, Ragan) |
Filing 22 Electronic Notice re: Disclosure Statement to Plaintiffs Donna Evitts, James Evitts - SECOND NOTICE. Pursuant to Local Rule 2.09, every nongovernmental corporate party or nongovernmental corporation that seeks to intervene in any case, and every party or intervenor in an action in which jurisdiction is based upon diversity, must file a Disclosure Statement immediately upon entering its appearance in the case. Please complete and file the certificate as soon as possible and add all individuals and entities into CM/ECF as required # (moed-0001.pdf). (CLT) |
Filing 21 Docket Text ORDER: The Court grants Defendants Jay Byrne and V-Fluence Interactive Public Relations, Inc.'s #19 Request for Extension of Time. Signed by Chief District Judge Stephen R. Clark on 6/12/2023. (CLH) |
Filing 20 DISCLOSURE STATEMENT by V-Fluence Interactive Public Relations, Inc.. No corporate parents or affiliates identified. (Schindler, Joshua) |
Filing 19 MOTION for Extension of Time to File Answer by Defendants Jay Byrne, V-Fluence Interactive Public Relations, Inc. (Schindler, Joshua) Modified event on 6/12/2023 (CLT). |
Filing 18 ENTRY of Appearance by Joshua M. Schindler for Defendants Jay Byrne, V-Fluence Interactive Public Relations, Inc.. (Schindler, Joshua) |
Filing 17 DISCLOSURE STATEMENT by Chevron U.S.A. Inc., Chevron Corporation.. (Scheiderer, Megan) |
Filing 16 Docket Text ORDER: The Court grants Defendants' #13 Motion for Extension of Time. The Court denies Defendants' #14 Supplemental Motion for Extension of Time as moot. Signed by Chief District Judge Stephen R. Clark on 6/8/2023. (LNJ) |
Filing 15 Electronic Notice re: Disclosure Statement to Defendant Chevron U.S.A. Inc.. Pursuant to Local Rule 2.09, every nongovernmental corporate party or nongovernmental corporation that seeks to intervene in any case, and every party or intervenor in an action in which jurisdiction is based upon diversity, must file a Disclosure Statement immediately upon entering its appearance in the case. Please complete and file the certificate as soon as possible and add all individuals and entities into CM/ECF as required # (moed-0001.pdf). (LNJ) |
Filing 14 Supplemental MOTION for Extension of Time to File Answer re #13 Joint MOTION for Extension of Time to File Answer re #9 Petition (Removal/Transfer) by Chevron U.S.A. Inc. and by Defendant Syngenta Crop Protection, LLC. (Attachments: #1 Exhibit A - Email of Mr. Corrigan)(Nester, Michael) |
Filing 13 Joint MOTION for Extension of Time to File Answer re #9 Petition (Removal/Transfer) by Chevron U.S.A. Inc. and by Defendant Syngenta Crop Protection, LLC. (Nester, Michael) |
Filing 12 ENTRY of Appearance by Megan Scheiderer for Defendant Chevron U.S.A. Inc.. (Scheiderer, Megan) |
Filing 11 ENTRY of Appearance by Joseph C. Orlet for Defendant Chevron U.S.A. Inc.. (Orlet, Joseph) |
Filing 10 NOTICE by Defendant Syngenta Crop Protection, LLC re #1 Notice of Removal Petition, (Attachments: #1 Exhibit A - Notice of Filing Notice of Removal to State Court)(Nester, Michael) |
Filing 9 Petition (Removal/Transfer) Received From: Circuit Court of the City of St. Louis, filed by Donna Evitts, James Evitts.(JWD) |
Filing 8 DISCLOSURE STATEMENT by Defendants Syngenta Crop Protection, LLC, Syngenta Seeds, LLC, Syngenta Corporation.. (Attachments: #1 Exhibit A - Response to No. 2 of Disclosure Statement)(Nester, Michael) |
Filing 7 NOTICE of Filing Deficiency re #3 Disclosure Statement. In accordance with Eastern District of Missouri Local Rules and the Case Management/Electronic Case Filing (CM/ECF) Procedures Manual, a filing deficiency has been identified as follows: Disclosure Statement not filed on court provided form as now required by Local Rule 2.09 Disclosure Statement. This deficiency must be filed in the case record immediately. (JWD) |
Case Opening Notification. Judge Assigned: Honorable Stephen R. Clark. Pursuant to Local Rule 2.09, every nongovernmental corporate party or nongovernmental corporation that seeks to intervene in any case, and every party or intervenor in an action in which jurisdiction is based upon diversity, must file a Disclosure Statement immediately upon entering its appearance in the case. Please complete and file the certificate as soon as possible. # (moed-0001.pdf). (JWD) |
Filing 6 MEMORANDUM in Support of Motion re #5 MOTION to Stay Motion for Temporary Stay of Proceedings Pending Anticipated Transfer to Multidistrict Litigation filed by Defendant Syngenta Crop Protection, LLC. (Attachments: #1 Exhibit A - Syngenta Crop Protection, LLC's Notice of Potential Tag-Along)(Nester, Michael) |
Filing 5 MOTION to Stay Motion for Temporary Stay of Proceedings Pending Anticipated Transfer to Multidistrict Litigation by Defendant Syngenta Crop Protection, LLC. (Nester, Michael) |
Filing 4 NOTICE OF FILING NOTICE OF REMOVAL filed by Defendant Syngenta Crop Protection, LLC Sent To: Plaintiff (Attachments: #1 Exhibit A - Notice of Removal)(Nester, Michael) |
Filing 3 DISCLOSURE STATEMENT by Defendants Syngenta Crop Protection, LLC, Syngenta Seeds, LLC, Syngenta Corporation.. (Nester, Michael) |
Filing 2 ENTRY of Appearance by Michael J. Nester for Defendant Syngenta Crop Protection, LLC. (Nester, Michael) |
Filing 1 NOTICE OF REMOVAL from City of St. Louis Circuit Court, case number 2322-cc-00611, with receipt number AMOEDC-9979627, in the amount of $402 Jury Demand,, filed by Syngenta Crop Protection, LLC. (Attachments: #1 Exhibit A - Complaint and service documents, #2 Exhibit B - State court file, #3 Exhibit C - Consent to Removal (Chevron), #4 Civil Cover Sheet, #5 Original Filing Form)(Nester, Michael) |
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