Islam et al v. Rinsky et al
Fahmida Khanam, Islam Sajjatul and Sajjatul Islam |
Mitchell Rinsky and Midway Services of NY, LLC |
1:2019cv03062 |
May 22, 2019 |
US District Court for the Eastern District of New York |
Roslynn R Mauskopf |
James Orenstein |
Motor Vehicle |
28 U.S.C. § 1441 Petition for Removal- Auto Negligence |
Defendant |
Docket Report
This docket was last retrieved on July 18, 2019. A more recent docket listing may be available from PACER.
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Filing 12 INTERROGATORIES Propounded by Sajjatul Islam. (Mills, Michael) |
Filing 11 REQUEST for Production of Documents by Sajjatul Islam. (Mills, Michael) |
ORDER re #11 Request for Production of Documents and #12 Interrogatories Propounded -- Counsel is reminded that pursuant to Federal Rule of Civil Procedure 5(d), discovery requests and materials produced in pretrial disclosure and discovery shall not be filed with the clerk's office except by order of the court. Fed. R. Civ. P. 5(d)(1) ("[D]isclosures under Rule 26(a)(1) or (2) and the following discovery requests and responses must not be filed until they are used in the proceeding or the court orders filing: depositions, interrogatories, requests for documents or tangible things or to permit entry onto land, and requests for admission."). Counsel is reminded to correctly describe those materials that are properly filed. Ordered by Magistrate Judge James Orenstein on 7/18/2019. (Gustafson, Kaelyn) |
Filing 10 SCHEDULING ORDER: Deadline for all Rule 26(a)(1) disclosures: July 10, 2019. First request for production of documents and first request for interrogatories due by: July 25, 2019. Deadline for joinder of additional parties and amendment of pleadings: October 8, 2019. Status Conference (with joint status report due two business days in advance): October 22, 2019, at 10:30 a.m. Fact discovery to be completed by: December 3, 2019. Plaintiffs' expert disclosures due by: January 3, 2020. Defendants' expert disclosures due by: February 3, 2020. All discovery, including all expert disclosures under Rule 26(a)(2), if any, to be completed by: February 3, 2020. Pretrial Conference (ex parte statements of settlement position due via email two business days in advance): February 17, 2020, at 9:30 a.m. Dispositive motion process started by: March 2, 2020. Joint pretrial order due by: March 30, 2020. SEE ATTACHED ORDER. Ordered by Magistrate Judge James Orenstein on 7/10/2019. (Orenstein, James) |
Filing 9 Minute Entry for proceedings held before Magistrate Judge James Orenstein:Initial Conference Hearing held on 7/10/2019. Scheduling: (1) The next status conference will be held on October 22, 2019, at 10:30 a.m. (2) A pretrial conference will be held on February 17, 2020, at 9:30 a.m. Summary: The plaintiffs have no procedural objection to the removal of the case to this court. I will enter a separate case management and scheduling order that reflects the deadlines set forth in the parties' joint discovery plan. (Orenstein, James) |
Filing 8 CASE MANAGEMENT STATEMENT Joint Proposed discovery Plan (Mills, Michael) |
ORDER re #7 Response to Discovery -- Counsel is reminded that pursuant to Federal Rule of Civil Procedure 5(d), discovery requests and materials produced in pretrial disclosure and discovery shall not be filed with the clerk's office except by order of the court. Fed. R. Civ. P. 5(d)(1) ("[D]isclosures under Rule 26(a)(1) or (2) and the following discovery requests and responses must not be filed until they are used in the proceeding or the court orders filing: depositions, interrogatories, requests for documents or tangible things or to permit entry onto land, and requests for admission."). Counsel is reminded to correctly describe those materials that are properly filed. Ordered by Magistrate Judge James Orenstein on 6/24/2019. (Roantree, Bronwyn) |
Filing 7 RESPONSE to Discovery Request from Mitchell Rinsky by Sajjatul Islam. (Mills, Michael) |
Filing 6 SCHEDULING ORDER: Pursuant to Federal Rule of Civil Procedure 16(a), I order the parties to appear for an initial discovery planning conference on, July 10, 2019, at 11:00 a.m. in Courtroom 11D South of the United States Courthouse, 225 Cadman Plaza East, Brooklyn, New York. No later than July 8, 2019, the parties must submit, by means of electronic filing on the court's ECF (Electronic Case Filing) system, a joint proposed discovery plan. Each party's counsel must be personally prepared to discuss all factual and legal issues in the case, including the possibility of settlement; otherwise, the client must attend in person as well. SEE ATTACHED ORDER. Ordered by Magistrate Judge James Orenstein on 6/10/2019. (Guy, Alicia) |
Filing 5 DEMAND for Trial by Jury by Midway Services of NY, LLC, Mitchell Rinsky (Jayson, Sherri) |
Filing 4 This attorney case opening filing has been checked for quality control. See the attachment for corrections that were made, if any. (Davis, Kimberly) |
Filing 3 In accordance with Rule 73 of the Federal Rules of Civil Procedure and Local Rule 73.1, the parties are notified that if all parties consent a United States magistrate judge of this court is available to conduct all proceedings in this civil action including a (jury or nonjury) trial and to order the entry of a final judgment. Attached to the Notice is a blank copy of the consent form that should be filled out, signed and filed electronically only if all parties wish to consent. The form may also be accessed at the following link: #http://www.uscourts.gov/uscourts/FormsAndFees/Forms/AO085.pdf. You may withhold your consent without adverse substantive consequences. Do NOT return or file the consent unless all parties have signed the consent. (Davis, Kimberly) |
Case Assigned to Judge Roslynn R. Mauskopf and Magistrate Judge James Orenstein. Please download and review the Individual Practices of the assigned Judges, located on our #website. Attorneys are responsible for providing courtesy copies to judges where their Individual Practices require such. (Davis, Kimberly) |
Filing 2 Corporate Disclosure Statement by Midway Services of NY, LLC, Mitchell Rinsky (Jayson, Sherri) |
Filing 1 NOTICE OF REMOVAL by All Defendants from Supreme Court Queens County, case number 701076/2019. ( Filing fee $ 400 receipt number ANYEDC-11507397) (Attachments: #1 Civil Cover Sheet, #2 Exhibit Summons and Complaint and Answer, #3 Exhibit Demand for Statement of Damages, #4 Exhibit Response to Combined Demands, #5 Affidavit Affidavit of Service) (Jayson, Sherri) |
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