Moriarty v. Forest River, Inc., et al
| Sandy A. Moriarty |
| Forest River, Inc. and RV Retailer Arkansas, LLC d/b/a Blue Compass RV |
| 4:2026cv00940 |
| June 12, 2026 |
| U.S. District Court for the Eastern District of Missouri |
| Zachary M Bluestone |
| Motor Vehicle |
| 28 U.S.C. § 1332 Diversity-Motor Vehicle Product Liability |
| Both |
Docket Report
This docket was last retrieved on August 6, 2026. A more recent docket listing may be available from PACER.
| Document Text |
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| Filing 33 JOINT SCHEDULING PLAN by Plaintiff Sandy A. Moriarty. . (Misner, Christian) |
Filing 32
ORDER: In light of Plaintiff Sandy Moriarty's Voluntary Dismissal Without Prejudice, Doc. 31, the Court directs the Clerk of Court to terminate Defendants RV Retailer, LLC, and RV Retailer Missouri, LLC, as parties in this case. See FED. R. CIV. P. 41(a)(1)(A)(i)-(2). Signed by District Judge Zachary M. Bluestone on 8/5/2026. (HMA)
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| Filing 31 PLAINTIFF'S VOLUNTARY DISMISSAL OF DEFENDANTS RV RETAILER, LLC d/b/a BLUE COMPASS RV AND RV RETAILER MISSOURI, LLC NOTICE of Voluntary Dismissal by Sandy A. Moriarty (Misner, Christian) |
Filing 30
ORDER SETTING RULE 16 SCHEDULING CONFERENCE (See Full Order). This case is assigned to Track: 2 Standard. Joint Scheduling Plan due by 8/12/2026. Rule 16 Conference set for 8/26/2026 12:00 PM in Chambers before District Judge Zachary M. Bluestone. Signed by District Judge Zachary M. Bluestone on 7/17/2026. (JEB) Modified conference location on 7/20/2026 (CLH).
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| Filing 29 NOTICE by Defendants RV Retailer Arkansas, LLC d/b/a Blue Compass RV, RV Retailer, LLC (Napolitano, Christopher) |
| Filing 28 ANSWER to #21 Amended Complaint, by RV Retailer Arkansas, LLC d/b/a Blue Compass RV, RV Retailer, LLC.(Napolitano, Christopher) |
| Filing 27 DISCLOSURE STATEMENT by RV Retailer Arkansas, LLC d/b/a Blue Compass RV, Blue Compass RV, LLC, Ferrando Enterprises II, LLC, JPF RV Retail Holdings, LLC, JPF Investment Holdings, LLC, RRIR RV Capital Holdings, LLC, RR RV Capital Holdings, LLC, TMB Holdings I, LLC, East Grove Ventures, LLC, Redwood Holdings, LLC, LMS Redwood Investments, LLC, Carey-Redwood Investors, LLC, RCI Managers, LLC, The Kathryn L. Ferrando 2021 Irrevocable Trust, The Emily Taylor Ferrando 2014 Irrevocable Trust, The Isabelle Ashley Ferrando 2014 Irrevocable Trust, The Jackson Thomas Ferrando 2014 Irrevocable Trust, The THMB Family Trust, The Chaney 2021 Irrevocable Trust FBO Scott Chaney, The Sean Chaney 2021 Irrevocable Trust, The Erin Chaney Stevenson 2021 Irrevocable Trust, The Kim J. Davis 2012 Irrevocable Trust, The Oak Investment Trust, The Oak Investment Trust II, The Elm Investment Trust, The Pine Investment Trust, The McConnell Family Trust, The James C. Davis Trust for the Benefit of Brian J. Davis, The Davis Family ESBT, The William G. and Deborah A. Davis Irrevocable Family Trust (2012), The Carey Family Irrevocable Trust, The Michael Salandra 1998 Trust, The 2012 Michael W. Salandra Family Trust, The Meritage Irrevocable Trust, The Juniper Investment Trust, Jon Ferrando, Jeff Baskies, Raul Rodriguez, Kurt Hornung, Taylore Elliott, Tim Benter, Holly Benter, Donny O'Banion, David Ostlund, Jill Ostlund, Sean Chaney, Scott Chaney, Erin Chaney Stevenson, James C. Davis, Fred S. Ridley, Randall Sones, R. Alan Butler, Michael Bison, Kim J. Davis, William G. Davis, Deborah Davis, Deborah A. Davis, Marianne Schmitt Hellauer, Eron Kathleen Barnes, Michael Salandra, Lesley Salandra, Jonathan D. Eisner, Brian Davis, John T. Carey, Elizabeth H. Ridley, Michael D. Annis, David Watson, Ryan Mostrom, Kevin Loden, Ivan Lee, Patrick Sissman.. (Napolitano, Christopher) |
| Filing 26 ENTRY of Appearance by Christopher M. Napolitano for Defendant RV Retailer Arkansas, LLC d/b/a Blue Compass RV. (Napolitano, Christopher) |
| Filing 25 ANSWER to #21 Amended Complaint, by Forest River, Inc..(Benevides, Jonathan) |
| Filing 24 Electronic Notice re: Disclosure Statement to Defendant RV Retailer Arkansas, LLC d/b/a Blue Compass RV. Pursuant to Local Rule 2.09, every non-governmental party, including individuals or intervenors, must file a Disclosure Statement in any case based on Diversity Jurisdiction immediately upon entering its appearance in the case, completing Sections 1 and 2 of the Court-adopted form. In Section 2 of the form, non-individuals must include the state of incorporation/formation and state of principal business practice. LLCs & LLPs must include all members, sub-members, general and limited partners, and corporations, and their states of citizenship. See FRCP 7.1. These entities must be entered into CM/ECF where prompted. # (Disclosure Statement form can be downloaded here) (TMT) |
Filing 23
Docket Text ORDER:For the reasons stated, the Court GRANTS Defendants RV Retailer, LLC and RV Retailer Arkansas, LLC's #22 Motion for Extension of Time to Answer or Otherwise Respond to Plaintiff's Complaint. Defendants must respond to the Amended Complaint, Doc. 21, no later than July 16, 2026. Signed by District Judge Zachary M. Bluestone on 7/7/2026. (JEB)
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| Filing 22 Unopposed MOTION for Extension of Time to File Answer or Otherwise Respond to Plaintiff's Amended Complaint by Defendants RV RETAILER ARKANSAS, LLC d/b/a BLUE COMPASS RV, RV Retailer, LLC. (Napolitano, Christopher) |
| Filing 21 AMENDED COMPLAINT against defendant Forest River, Inc., RV Retailer, LLC, RV RETAILER ARKANSAS, LLC d/b/a BLUE COMPASS RV RV RETAILER, LLC d/b/a ) BLUE COMPASS RV Summons(es) issued, Jury Demanded demand, , filed by Sandy A. Moriarty.(Misner, Christian) |
| Filing 20 DISCLOSURE STATEMENT by Sandy A. Moriarty. No corporate parents or affiliates identified. (Misner, Christian) |
| Filing 19 SECOND Electronic Notice re: Disclosure Statement to Plaintiff Sandy A. Moriarty. Pursuant to Local Rule 2.09, every non-governmental party, including individuals or intervenors, must file a Disclosure Statement in any case based on Diversity Jurisdiction immediately upon entering its appearance in the case, completing Sections 1 and 2 of the Court-adopted form. In Section 2 of the form, individual parties must list their name and state of citizenship - not residence or domicile. See FRCP 7.1. # (Disclosure Statement form can be downloaded here) (ANR) |
| Filing 18 ANSWER to Complaint (Notice of Removal) #7 Petition (Removal/Transfer) filed by Defendant Forest River, Inc.. (Benevides, Jonathan) |
Filing 17
Docket Text ORDER: In light of Defendant RV Retailer, LLC's Notice of Removal, Doc. 13, the Court DENIES without prejudice Plaintiff Sandy A. Moriarty's #10 Motion to Stay Proceedings. Moriarty's motion was premised primarily on the assertion that "Defendant [RV Retailer]... has been served with process but has not sought or consented to federal jurisdiction and is not litigating Plaintiff's claims against it in this Court," Doc. 10 3, which is no longer true in light of recent filings. To the extent Moriarty still wishes to request a stay, compel arbitration, or remand in light of any defects in the notices of removal, this order does not preclude her from filing a motion seeking such relief. Signed by District Judge Zachary M. Bluestone on 6/22/2026. (HMA)
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| Filing 16 DISCLOSURE STATEMENT by RV Retailer, LLC, Blue Compass Holdings, LLC, RV Retailer Intermediate Holdings, LLC, RVR Intermediate Holdings, LLC, RVRH Holdings, LLC, RVR Dealership Holdings, LLC, RV Retailer Intermediate Floorplan Holdings I, LLC, RV Retailer Intermediate Floorplan Holdings II, LLC, Ferrando Enterprises II, LLC, The Kathryn L. Ferrando 2021 Irrevocable Trust, Jon Ferrando, JPF RV Retail Holdings, LLC, Ferrando Enterprises II, LLC, JPF Investment Holdings, LLC, The Emily Taylor Ferrando 2014 Irrevocable Trust, The Isabelle Ashley Ferrando 2014 Irrevocable Trust, The Jackson Thomas Ferrando 2014 Irrevocable Trust, Jeff Baskies, RRIR RV Capital Holdings, LLC, Raul Rodriguez, RR RV Capital Holdings, LLC, Kurt Hornung, Taylore Elliot, Tim Benter, Donny O'Banion, TMB Holdings I, LLC, THMB Family Trust, Holly Benter, East Grove Ventures, LLC, David Ostlund, Jill Ostlund, The Chaney 2021 Irrevocable Trust FBO Scott Chaney, Scott Chaney, Sean Chaney, The Sean Chaney 2021 Irrevocable Trust, The Erin Chaney Stevenson 2021 Irrevocable Trust, Erin Chaney Stevenson, Redwood Holdings, LLC, James C. Davis, he Kim J. Davis 2012 Irrevocable Trust, The Oak Investment Trust, Fred S. Ridley, Randall Sones, Alan R. Butler, Michael Bison, The Oak Investment Trust II, The Elm Investment Trust, The Pine Investment Trust, The McConnell Family Trust, The James C. Davis Trust for the Benefit of Brian J. Davis, The Davis Family ESBT, William G. Davis, Deborah Davis, The William G. and Deborah A. Davis Irrevocable Family Trust (2012), Brian Davis, The Carey Family Irrevocable Trust, Marianne Schmitt Hellauer, The Michael Salandra 1998 Trust, Eron Kathleen Barnes, LMS Redwood Investments, LLC, Michael Salandra, Lesley Salandra, 2012 Michael W. Salandra Family Trust, Jonathan D. Eisner, John T. Carey, Carey-Redwood Investors, LLC, Meritage Irrevocable Trust, The Juniper Investment Trust, Elizabeth H. Ridley, Michael D. Annis, David Watson, Ryan Mostrom, Kevin Loden, Ivan Lee, Patrick Sissman, The Kim J. Davis 2012 Irrevocable Trust.. (Napolitano, Christopher) (Main Document 16 replaced on 6/23/2026 to file corrected DOIC re: section 2.) (ANR). |
| Filing 15 ANSWER to Complaint by RV Retailer, LLC.(Napolitano, Christopher) |
| Filing 14 Consent to Removal by Defendant Forest River, Inc.. (Benevides, Jonathan) |
| Filing 13 NOTICE OF FILING NOTICE OF REMOVAL filed by Defendant RV Retailer, LLC Sent To: Plaintiff (Attachments: #1 Exhibit Ex. A - Email Notification)(Napolitano, Christopher) |
| Filing 12 ENTRY of Appearance by Christopher M. Napolitano for Defendant RV Retailer, LLC. (Napolitano, Christopher) |
| Filing 11 NOTICE OF FILING NOTICE OF REMOVAL filed by Defendant RV Retailer, LLC Sent To: Plaintiff (Attachments: #1 Exhibit Ex. A-State Court Pleadings, #2 Exhibit Ex. B-Civil Cover Sheet, #3 Exhibit Ex. C-Original Filing Form, #4 Exhibit Ex. D-Consent for Removal)(Napolitano, Christopher) |
| Filing 10 MOTION to Stay Proceedings by Plaintiff Sandy A. Moriarty. (Misner, Christian) |
| Filing 9 ENTRY of Appearance by Christian T. Misner for Plaintiff Sandy A. Moriarty. (Misner, Christian) |
| Filing 8 Electronic Notice re: Disclosure Statement to Plaintiff Sandy A. Moriarty. Pursuant to Local Rule 2.09, every non-governmental party, including individuals or intervenors, must file a Disclosure Statement in any case based on Diversity Jurisdiction immediately upon entering its appearance in the case, completing Sections 1 and 2 of the Court-adopted form. In Section 2 of the form, individual parties must list their name and state of citizenship - not residence or domicile. # (Disclosure Statement form can be downloaded here) (TMT) |
| Filing 7 Petition (Removal/Transfer) Received From: St. Louis County Circuit Court, filed by Sandy A. Moriarty.(JWD) |
| Filing 6 Electronic Notice re: Disclosure Statement to Defendant RV Retailer, LLC. Pursuant to Local Rule 2.09, every non-governmental party, including individuals or intervenors, must file a Disclosure Statement in any case based on Diversity Jurisdiction immediately upon entering its appearance in the case, completing Sections 1 and 2 of the Court-adopted form. In Section 2 of the form, non-individuals must include the state of incorporation/formation and state of principal business practice. LLCs & LLPs must include all members, sub-members, general and limited partners, and corporations, and their states of citizenship. See FRCP 7.1. These entities must be entered into CM/ECF where prompted. # (Disclosure Statement form can be downloaded here) (TMT) |
| Case Opening Notification. Judge Assigned: Honorable Zachary M. Bluestone. 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 5 NOTICE OF FILING NOTICE OF REMOVAL filed by Defendant Forest River, Inc. Sent To: Plaintiff (Attachments: #1 Exhibit A)(Patterson, Samantha) |
| Filing 4 ENTRY of Appearance by Samantha Rae Patterson for Defendants Forest River, Inc., RV Retailer, LLC. (Patterson, Samantha) |
| Filing 3 ENTRY of Appearance by Jonathan E. Benevides for Defendants Forest River, Inc., RV Retailer, LLC. (Benevides, Jonathan) |
| Filing 2 DISCLOSURE STATEMENT by Forest River, Inc., Berkshire Hathaway, Inc... (Benevides, Jonathan) |
| Filing 1 NOTICE OF REMOVAL from Circuit Court of St. Louis County, Missouri, case number 26SL-CC03486, with receipt number AMOEDC-11923528, in the amount of $405 Non-Jury Demand,, filed by Forest River, Inc.. (Attachments: #1 Exhibit A - State Court Filings, #2 Civil Cover Sheet, #3 Original Filing Form)(Benevides, Jonathan) |
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