Chadron Efgaz, LLC v. Eat Fit Go Healthy Foods, LLC et al
Chadron Efgaz, LLC |
Eat Fit Go Healthy Foods, LLC |
Continental Casualty Company |
8:2022cv00140 |
April 13, 2022 |
US District Court for the District of Nebraska |
Susan M Bazis |
Brian C Buescher |
Contract: Other |
28 U.S.C. ยง 1446 Petition for Removal |
None |
Docket Report
This docket was last retrieved on May 27, 2022. A more recent docket listing may be available from PACER.
Document Text |
---|
Filing 15 BRIEF in opposition to the Application to Determine Garnishee Liability by Attorney Leland H. Jones, IV on behalf of Garnishee Continental Casualty Company. (Attachments: #1 Exhibit Declaration of Katrina D. Gibson)(Jones, Leland) |
Filing 14 CORPORATE DISCLOSURE STATEMENT pursuant to Fed. R. Civ. P. 7.1 identifying Corporate Parent CNA Financial Corporation, Corporate Parent CNA Financial Corporation, Corporate Parent The Continental Corporation, Corporate Parent The Continental Corporation for Continental Casualty Company. by Attorney Leland H. Jones, IV on behalf of Garnishees Continental Casualty Company, The Continental Corporation, The Continental Corporation, CNA Financial Corporation, CNA Financial Corporation.(Jones, Leland) |
Filing 13 CORPORATE DISCLOSURE STATEMENT pursuant to Fed. R. Civ. P. 7.1 identifying Other Affiliate Chadron Holding Company, LLC, Other Affiliate Chadron Holding Company, LLC for Chadron Efgaz, LLC. by Attorney Brian T. McKernan on behalf of Plaintiffs Chadron Efgaz, LLC, Chadron Holding Company, LLC, Chadron Holding Company, LLC.(McKernan, Brian) |
![]() |
Filing 11 NOTICE of regarding Notice of Removal Attorney - Complaint, #1 Supplement to Notice of Removal by Attorney Laurel P. Hall on behalf of Garnishee Continental Casualty Company (Hall, Laurel) |
Filing 10 MOTION to Extend Briefing Deadlines on Application to Determine Garnishee Liability by Attorney Leland H. Jones, IV on behalf of Garnishee Continental Casualty Company.(Jones, Leland) |
![]() |
Filing 8 TEXT ORDER granting Motion for Admission Pro Hac Vice #6 for attorney Leland H. Jones, IV. Ordered by Deputy Clerk. (JLS) |
Filing 7 MOTION Supplement to Notice of Removal regarding Notice of Removal Attorney - Complaint, #1 by Attorney Laurel P. Hall on behalf of Garnishee Continental Casualty Company. (Attachments: #1 Exhibit 4)(Hall, Laurel) |
Filing 6 MOTION for Admission Pro Hac Vice Filing fee $ 100, receipt number ANEDC-4618046 by Attorney Leland H. Jones, IV on behalf of Garnishee Continental Casualty Company.(Jones, Leland) |
Filing 5 TEXT NOTICE REGARDING CORPORATE DISCLOSURE STATEMENT by Deputy Clerk as to Garnishee Continental Casualty Company. Pursuant to Fed. R. Civ. P. 7.1, non-governmental corporate parties are required to file Corporate Disclosure Statements (Statements). The parties shall use the form Corporate Disclosure Statement, available on the Web site of the court at http://www.ned.uscourts.gov/forms/. If you have not filed your Statement, you must do so within 15 days of the date of this notice. If you have already filed your Statement in this case, you are reminded to file a Supplemental Statement within a reasonable time of any change in the information that the statement requires.(TJM) |
Filing 4 TEXT NOTICE REGARDING CORPORATE DISCLOSURE STATEMENT by Deputy Clerk as to Defendant Eat Fit Go Healthy Foods, LLC. Pursuant to Fed. R. Civ. P. 7.1, non-governmental corporate parties are required to file Corporate Disclosure Statements (Statements). The parties shall use the form Corporate Disclosure Statement, available on the Web site of the court at http://www.ned.uscourts.gov/forms/. If you have not filed your Statement, you must do so within 15 days of the date of this notice. If you have already filed your Statement in this case, you are reminded to file a Supplemental Statement within a reasonable time of any change in the information that the statement requires.(TJM) |
Filing 3 TEXT NOTICE REGARDING CORPORATE DISCLOSURE STATEMENT by Deputy Clerk as to Plaintiff Chadron Efgaz, LLC. Pursuant to Fed. R. Civ. P. 7.1, non-governmental corporate parties are required to file Corporate Disclosure Statements (Statements). The parties shall use the form Corporate Disclosure Statement, available on the Web site of the court at http://www.ned.uscourts.gov/forms/. If you have not filed your Statement, you must do so within 15 days of the date of this notice. If you have already filed your Statement in this case, you are reminded to file a Supplemental Statement within a reasonable time of any change in the information that the statement requires.(TJM) |
Filing 2 TEXT NOTICE OF JUDGES ASSIGNED: Judge Brian C. Buescher and Magistrate Judge Susan M. Bazis assigned. In accordance with 28 U.S.C. 636(c)(2), the parties are notified that, if all parties consent, a magistrate judge may conduct a civil action or proceeding, including a jury or nonjury trial, subject to the courts rules and policies governing the assignment of judges in civil cases. See Fed. R. Civ. P. 73; NEGenR 1.4. (LRM) |
Filing 1 NOTICE OF REMOVAL against Chadron Efgaz, LLC from District Court of Douglas County, NE, Case number CI 21-5850 ( Filing fee $ 402, receipt number ANEDC-4616505) with attached state court pleadings, by Attorney Robert S. Keith on behalf of Continental Casualty Company (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3, #4 Supplement State Court Pleadings)(Keith, Robert) |
Access additional case information on PACER
Use the links below to access additional information about this case on the US Court's PACER system. A subscription to PACER is required.
Access this case on the Nebraska District Court's Electronic Court Filings (ECF) System
- Search for Party Aliases
- Associated Cases
- Attorneys
- Case File Location
- Case Summary
- Docket Report
- History/Documents
- Parties
- Related Transactions
- Check Status
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.