Abbey et al v. Runway Towing Corp. et al
Plaintiff: Wolverine Xpress and TIMOTHY ABBEY
Defendant: Cynthia Pritsinevelos, Runway Towing Corp., Chris Pritsinevelos and John Doe 1 and John Doe 2
Case Number: 1:2019cv07116
Filed: December 19, 2019
Court: US District Court for the Eastern District of New York
Presiding Judge: Frederic Block
Referring Judge: Sanket J Bulsara
Nature of Suit: Racketeer/Corrupt Organization
Cause of Action: 18 U.S.C. § 1961 Racketeering (RICO) Act
Jury Demanded By: Plaintiff
Docket Report

This docket was last retrieved on September 9, 2022. A more recent docket listing may be available from PACER.

Date Filed Document Text
September 9, 2022 MEDIATION INSTRUCTIONS for Counsel are available at: https://www.nyed.uscourts.gov/adr-forms. Counsel are to select a mediator, schedule the first mediation session, and file the name of the mediator, date, time and place of the first mediation session via CM/ECF using the event Selection of Mediator. For a list of the EDNY Mediators and their qualifications, see the Court's website at https://www.nyed.uscourts.gov/adr/Mediation/displayAll.cfm. EDNY Mediators are compensated in accordance with EDNY Local Civil Rule 83.8(f)(1)[formerly EDNY Local Civil Rule 83.11(f)(1)]. The The Confidentiality Stipulation is available at: https://www.nyed.uscourts.gov/adr-forms, and must be signed by all participants, including the mediator. The signed confidentiality stipulation must be uploaded via the Courts website here: https://edny.app.box.com/f/1fabaa0a170b4fd293704738238fd876. Upon completion of the mediation, both parties must submit a Mediation Report which can be found at: https://www.nyed.uscourts.gov/adr-forms. The Mediation Report must be submitted within two weeks following mediation session. (Mahoney, Brenna)
August 29, 2022 Opinion or Order ELECTRONIC ORDER: The parties joint letter application #52 is GRANTED. The time to complete court mediation is extended until December 31, 2022. Ordered by Judge Frederic Block on 8/29/2022. (Innelli, Michael)
August 26, 2022 Filing 52 Joint MOTION for Extension of Time to Complete Discovery to Complete Mediation per Court's Order dated August 16, 2022, Motion to Request Mediation by Timothy Abbey, Wolverine Xpress. (Rosen, Gary)
August 16, 2022 Opinion or Order ORDER REFERRING CASE to Mediation. The Mediation Department has notified chambers that all the parties in this case have consented to court mediation. Mediation shall be completed by 10/16/2022. Selection of Mediator due by 8/30/2022. Ordered by Judge Frederic Block on 8/16/2022. (Innelli, Michael)
November 23, 2021 NOTICE: This case has been placed on the Courts trial ready calendar. When the National Health Crisis involving COVID-19 is lifted. The Court will then schedule a pre-trial conference to schedule a jury trial date. (Innelli, Michael)
October 6, 2021 Filing 51 Joint Pre-Trial Order: Mail receipt, Letter - Joint response to Judge Block for pre-trial conference per Judge Bulsara's Order by Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp. (Pierce, Philip) Modified on 10/22/2021 (Manson, Eddie).
October 4, 2021 Filing 50 Joint Pre-Trial Order: Letter to Judge Block for pre-trial conference per Judge Bulsara's Order by Timothy Abbey, Wolverine Xpress (Rosen, Gary) Modified on 10/22/2021 (Manson, Eddie).
August 10, 2021 Filing 49 Letter by Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp. (Margolin, Errol)
August 5, 2021 Opinion or Order ORDER: On 7/14/2021, a status conference was scheduled for 8/5/2021 before Magistrate Judge Sanket J. Bulsara. Plaintiff's counsel was present; Defendants' counsel failed to appear. Defendants shall file a letter by 8/12/2021 explaining the reason they failed to appear before the Court. Further violations of this Court's orders will lead to the imposition of sanctions, including fees payable to the Clerk of Court. On 7/13/2021, the parties filed a status update #48 expressing a desire to extend the time to complete discovery and to file dispositive motions. These deadlines passed months ago; the deadline for the completion of discovery was 5/17/2021 and the dispositive motion deadline was 6/16/2021. (See Order dated Mar. 12, 2021). The parties have not shown good cause for such an extension. "A finding of 'good cause' depends on the diligence of the moving party." Parker v. Columbia Pictures Indus., 204 F.3d 326, 340 (2d Cir. 2000). Here, the parties do not explain what discovery has been conducted, what remains to be done, and there is no basis to conclude that the parties have acted with diligence and dispatch such that a late extension of the deadlines should be granted. The Court will not grant nunc pro tunc extensions of discovery deadlines well after such deadlines have elapsed. E.g., Harnage v. Pillai, No. 17-CV-355, 2018 WL 2465355, at *6-7 (D. Conn. June 1, 2018) (denying motion to extend discovery nunc pro tunc after discovery deadline and dispositive motion deadline had passed, finding no good cause to reopen discovery); Gucci Am., Inc. v. Guess?, Inc., 790 F. Supp. 2d 136, 139 (S.D.N.Y. 2011) ("Reopening discovery after the discovery period has closed requires a showing of good cause."). The parties indicated in their status update that they do not wish to have a settlement conference. As such, the parties are directed to file a joint pretrial order consistent with Judge Block's rules by 10/4/2021. So Ordered by Magistrate Judge Sanket J. Bulsara on 8/5/2021. (Farrell, Gillian)
July 14, 2021 Opinion or Order SCHEDULING ORDER: A status conference will be held by video on 8/5/2021 at 10:00 AM before Magistrate Judge Sanket J. Bulsara. The Court will send a Microsoft Teams meeting link to the email addresses listed on the docket. Counsel may request that the Court send the link to email addresses not on the docket by providing the email addresses to Chambers' email no later than 8/2/2021. All others may join the conference via telephone by using the toll-free number 877-336-1274 and passcode 6534420. Parties shall join five (5) minutes prior to the start of the conference. Persons granted remote access to proceedings are reminded that photographing, recording, or rebroadcasting of any Court proceeding or communication with the Court is prohibited. So Ordered by Magistrate Judge Sanket J. Bulsara on 7/14/2021. (Farrell, Gillian)
July 13, 2021 Filing 48 STATUS REPORT JOINT REPORT by Timothy Abbey, Wolverine Xpress (Rosen, Gary)
June 21, 2021 Opinion or Order ORDER: Upon review of the parties' ex parte submissions, the Court concludes that settlement conference at this time would not be productive. It appears that the parties have not directly discussed settlement with each other, even to serve demands and offers, in accordance with the Court's Individual Practices or as required by this Court's order dated 3/12/2021. The Court, therefore, adjourns the current settlement conference scheduled for 6/23/2021, directs Plaintiffs to serve a revised demand by 6/28/2021, and Defendants to serve a response to that demand by 7/6/2021. Thereafter, should the parties, after a telephone conversation between principal counsel, believe a further court-mediated settlement conference should take place, the Court will reschedule the conference. These documents should not be filed on ECF. The parties should provide a joint status report regarding settlement discussions to the Court's email address, Bulsara_Chambers@nyed.uscourts.gov, by 7/13/2021. So Ordered by Magistrate Judge Sanket J. Bulsara on 6/21/2021. (Farrell, Gillian)
March 12, 2021 Opinion or Order The Motion for Extension of Time to Complete Discovery #47 is granted as follows. The deadline for completion of all discovery is extended to 5/17/2021. The last date to take the first step in dispositive motion practice is 6/16/2021. The settlement conference scheduled for 4/1/2021 is adjourned and will be held by video on 6/23/2021 at 2:30 PM before Magistrate Judge Sanket J. Bulsara. Parties are to submit their respective ex parte settlement positions via Chambers email no later than three days before 6/23/2021. Counsel are to refer to the Settlement Section of this Court's Individual Rules in preparation for the conference, which is available on the Court's website. Counsel must also provide email addresses and phone numbers for counsel and clients to the Court so that the Court may connect the parties to the video conference. So Ordered by Magistrate Judge Sanket J. Bulsara on 3/12/2021. (Farrell, Gillian)
March 11, 2021 Filing 47 Letter MOTION for Extension of Time to Complete Discovery on consent of Defendants, Letter MOTION to Adjourn Conference on consent of Defendants by Timothy Abbey, Wolverine Xpress. (Rosen, Gary)
December 22, 2020 Opinion or Order ORDER: The Motion for Extension of Time to Complete Discovery #46 is granted as follows. The deadline for completion of all discovery is extended to 3/15/2021. The last date to take the first step in dispositive motion practice is 4/14/2021. The settlement conference scheduled for 1/4/2021 will be held by video on 4/1/2021 at 2:30 PM before Magistrate Judge Sanket J. Bulsara. Parties are to submit their respective ex parte settlement positions via Chambers email no later than three days before 4/1/2021. Counsel are to refer to the Settlement Section of this Court's Individual Rules in preparation for the conference, which is available on the Court's website. Counsel must also provide email addresses and phone numbers for counsel and clients to the Court so that the Court may connect the parties to the video conference. So Ordered by Magistrate Judge Sanket J. Bulsara on 12/22/2020. (Farrell, Gillian)
December 18, 2020 Filing 46 Joint MOTION for Extension of Time to Complete Discovery by Timothy Abbey, Wolverine Xpress. (Rosen, Gary)
November 13, 2020 Opinion or Order RE-SCHEDULING ORDER: Due to a scheduling conflict, the settlement conference is hereby adjourned to 1/4/2021 at 11:00 AM before Magistrate Judge Sanket J. Bulsara. The conference will proceed by video. Parties are to submit their respective ex parte settlement positions via Chambers' email no later than three days before 1/4/2021. Counsel are to refer to the Settlement Section of this Court's Individual Rules in preparation for the conference, which is available on the Court's website. Counsel must also provide email addresses and phone numbers for counsel and clients to the Court so that the Court may connect the parties to the video conference. So Ordered by Magistrate Judge Sanket J. Bulsara on 11/13/2020. (Altreuter, Sylvia)
November 11, 2020 Opinion or Order RE-SCHEDULING ORDER: Due to a scheduling conflict, the settlement conference scheduled for 11/17/2020 is hereby adjourned to 11/19/2020 at 2:30 PM. The conference will proceed by video before Magistrate Judge Sanket J. Bulsara. Parties are to submit their respective ex parte settlement positions via Chambers' email no later than three days before 11/19/2020. Counsel are to refer to the Settlement Section of this Court's Individual Rules in preparation for the conference, which is available on the Court's website. Counsel must also provide email addresses and phone numbers for counsel and clients to the Court so that the Court may connect the parties to the video conference. So Ordered by Magistrate Judge Sanket J. Bulsara on 11/11/2020. (Altreuter, Sylvia)
October 1, 2020 Opinion or Order ORDER: The motion to extend time to complete discovery #42 is granted. Fact discovery shall be completed by 11/30/2020. All other deadlines shall remain in place. So Ordered by Magistrate Judge Sanket J. Bulsara on 10/1/2020. (Farrell, Gillian)
September 30, 2020 Filing 45 Letter to Judge Bulsara regarding agreement with NYPD by Timothy Abbey, Wolverine Xpress (Rosen, Gary)
September 30, 2020 Filing 44 Letter to Judge Bulsara by Timothy Abbey, Wolverine Xpress (Rosen, Gary)
September 29, 2020 Filing 43 Letter to Judge Bulsara in response to letter dated 9/28/2020 from NYPD to Judge Bulsara by Timothy Abbey, Wolverine Xpress (Rosen, Gary)
September 25, 2020 Filing 42 Joint MOTION for Extension of Time to Complete Discovery by Timothy Abbey, Wolverine Xpress. (Rosen, Gary)
September 11, 2020 Filing 41 CERTIFICATE OF SERVICE by Timothy Abbey, Wolverine Xpress re Order on Motion to Compel,,, (Attachments: #1 Certificate of Service) (Rosen, Gary)
September 10, 2020 Opinion or Order ORDER: Plaintiffs have served a Rule 45 document subpoena upon third-party New York City Police Department. Despite the passage of many months, the NYPD has failed to produce any documents in response to the subpoena; nor has it moved to quash or sought a protective order. Plaintiffs filed a motion to compel compliance; the NYPD failed to respond as required by the Court's Individual Rules, despite being served with the motion. The motion to compel is granted. The NYPD is required to produce responsive documents within 30 days of the date of this order; failure to do so may result in the imposition of sanctions, including a finding that the NYPD is in contempt of a court order. Plaintiff is directed to serve a copy of this order upon the NYPD and file proof of the same on the ECF docket. So Ordered by Magistrate Judge Sanket J. Bulsara on 9/10/2020. (Farrell, Gillian)
September 3, 2020 Filing 40 MOTION to Compel the New York City Police Department by Timothy Abbey, Wolverine Xpress. (Attachments: #1 Declaration Declaration of Gary Rosen in support of motion to compel New York City Police Department to respond to subpoena, #2 Exhibit subpoena, #3 Exhibit affidavit of service, #4 Exhibit order, #5 Exhibit certificate of service) (Rosen, Gary)
August 3, 2020 Opinion or Order ORDER: The motion for extension of time to complete discovery #39 is granted. The deadline to complete fact discovery is extended to 9/30/2020. All other deadlines remain in place. So Ordered by Magistrate Judge Sanket J. Bulsara on 8/3/2020. (Ferrara, Anthony)
July 31, 2020 Filing 39 Letter MOTION for Extension of Time to Complete Discovery by Timothy Abbey, Wolverine Xpress. (Rosen, Gary)
July 31, 2020 Filing 38 NOTICE of Appearance by Michael J. Noonan on behalf of All Plaintiffs (aty to be noticed) (Noonan, Michael)
July 31, 2020 Opinion or Order ORDER: The motion to adjourn conference #37 is granted. The settlement conference scheduled for 8/5/2020 is adjourned to 11/17/2020 at 2:30 PM before Magistrate Judge Sanket J. Bulsara. All parties must be present. Parties are to submit their respective ex parte settlement positions via Chambers email no later than three days before 11/17/2020. Counsel are to refer to the Settlement Section of this Court's Individual Rules in preparation for the conference, which is available on the Courts website. So Ordered by Magistrate Judge Sanket J. Bulsara on 7/31/2020. (Ferrara, Anthony)
July 30, 2020 Filing 37 Joint MOTION to Adjourn Conference by Timothy Abbey, Wolverine Xpress. (Rosen, Jared)
July 28, 2020 Opinion or Order SCHEDULING ORDER: The Court is prepared to hold a settlement conference as originally scheduled on 8/5/2020, but via video conference. The parties shall inform the Court by close of business on 7/31/2020 whether they are able to participate via video for the settlement conference, which the Court will facilitate. If the parties all wish to proceed, then they must each provide an email address (for both counsel and a client representative) to the Court via letter so that the Court may connect the parties to a video conference. A phone number should also be provided. So Ordered by Magistrate Judge Sanket J. Bulsara on 7/28/2020. (Ferrara, Anthony)
July 9, 2020 Opinion or Order Filing 36 ORDER: For the reasons stated in the attached Order, the motion to so-order the subpoenas #33 is denied. Should Plaintiffs wish to either seek contempt or seek compliance, they should file a motion to compel and serve such a motion on the entities consistent with this Order. So Ordered by Magistrate Judge Sanket J. Bulsara on 7/9/2020. (Ferrara, Anthony)
July 9, 2020 Filing 35 Letter TO JUDGE BULSARA WITHDRAWING DE-34 by Timothy Abbey, Wolverine Xpress (Rosen, Gary)
July 7, 2020 Filing 34 Letter to Judge Bulsara - Request permission to file an order to show cause against the New York City Department of Consumer Affairs for contempt of subpoena served upon them by Timothy Abbey, Wolverine Xpress (Rosen, Gary)
June 9, 2020 Filing 33 MOTION for Discovery FOR THE SO-ORDERING OF TWO (2) SUBPOENAS PURSUANT TO ORDER DATED MAY 26,2020 by Timothy Abbey, Wolverine Xpress. (Attachments: #1 Exhibit Subpoena served on NYC Consumer Affairs, #2 Exhibit Subpoena served on NYPD, #3 Exhibit Service of subpoena on NYC Consumer Affairs, #4 Exhibit Service of subpoena on NYPD, #5 Exhibit Proposed subpoena to be So-Ordered to be served upon NYC Department of Consumer Affairs, #6 Exhibit Proposed subpoena to be So-Ordered to be served upon NYPD) (Rosen, Gary)
June 7, 2020 Opinion or Order ORDER: The motion to adjourn conference #32 is granted as follows: The settlement conference set for 6/11/2020 is adjourned to 8/5/2020 at 2:30 PM in Courtroom 324N before Magistrate Judge Sanket J. Bulsara. All parties must be present. Parties are to submit their respective ex parte settlement positions via Chambers email no later than three days before 8/5/2020. Counsel are to refer to the Settlement Section of this Court's Individual Rules in preparation for the conference, which is available on the Courts website. So Ordered by Magistrate Judge Sanket J. Bulsara on 6/7/2020. (Ferrara, Anthony)
June 5, 2020 Filing 32 MOTION to Adjourn Conference by Timothy Abbey, Wolverine Xpress. (Rosen, Gary)
June 4, 2020 Opinion or Order RE-SCHEDULING ORDER: Due to a scheduling conflict, the settlement conference set for 6/9/2020 is adjourned, but the Court is prepared to hold a video settlement conference on 6/11/2020 at 10:00 AM. The parties shall inform the Court by close of business on Monday, 6/8/2020, whether they are able to participate via video for the settlement conference on 6/11/2020, which the Court will facilitate. If the parties both wish to proceed, then they must each provide an email address (for both counsel and a client representative) to the Court via letter so that the Court may connect the parties to a video conference. A phone number should also be provided. The parties shall also submit their ex parte settlement positions in accordance with the Settlement Section of this Court's Individual Practices. So Ordered by Magistrate Judge Sanket J. Bulsara on 6/4/2020. (Ferrara, Anthony)
May 26, 2020 Opinion or Order ORDER: The motion for leave to file #31 is granted. Plaintiffs are permitted to file a motion for the so-ordering of two subpoenas. So Ordered by Magistrate Judge Sanket J. Bulsara on 5/26/2020. (Ferrara, Anthony)
May 25, 2020 Filing 31 Letter MOTION to JUDGE BULSARA for permission to file motion for So-Ordered Subpoenas to be served on New York City Agencies as required by NY CPLR 2307 by Timothy Abbey, Wolverine Xpress (Rosen, Gary) Modified on 5/26/2020 (changed to motion) (Ferrara, Anthony).
April 8, 2020 Filing 30 (STRICKEN) NOTICE by Timothy Abbey, Wolverine Xpress Notice of Service of Subpoena upon Knights Collision Experts Inc. and Joseph Robles Jr. (Rosen, Gary) Modified on 4/9/2020 (Manson, Eddie).
April 8, 2020 Filing 29 (STRICKEN) NOTICE by Timothy Abbey, Wolverine Xpress Notice of Service of Subpoena upon Knights Collision & Auto Center Inc. (Rosen, Gary) Modified on 4/9/2020 (Manson, Eddie).
April 8, 2020 Filing 28 (STRICKEN) NOTICE by Timothy Abbey, Wolverine Xpress Notice of Service of Subpoena upon Knights Collision & Auto Care Center Inc. (Rosen, Gary) Modified on 4/9/2020 (Manson, Eddie).
April 8, 2020 Filing 27 (STRICKEN) NOTICE by Timothy Abbey, Wolverine Xpress NOTICE OF SERVICE OF SUBPOENA UPON KNIGHTS COLLISION & AUTO CENTER INC. AND JOSEPH ROBLES (Rosen, Gary) Modified on 4/9/2020 (Manson, Eddie).
April 8, 2020 Opinion or Order ORDER: The parties have filed a number of improper documents on the docket. The parties and their counsel may no longer file letters to the Court or discovery-related motions without first obtaining leave to do so, and leave may be sought only through filing of a single-paged letter. No responses to any leave request may be submitted. The parties' improper behavior is as follows. First, the Court previously admonished Defendants for filing discovery materials unrelated to pending disputes or motions on the Docket. See Order dated 4/3/2020. In the few days since, Plaintiffs filed a total of six subpoenas or other discovery requests on the docket. Dkt. Nos. 25-30 are hereby stricken, and the Clerk of Court is ordered to remove them from the docket. Second, the motions filed by both parties, including Plaintiffs' motion for disclosure #23 and requested relief in Defendants' letter #22 and reply #24 were filed in violation of this Courts individual practices. There is no indication that the parties met and conferred regarding any of the issues raised as required by Federal Rule 37 and this Court's individual practices. These motions are denied. It appears that the parties wish to make their caustic relationship, inability to cooperate and ceaseless letter writing campaign open to public view and on the Court's docket. This is not the place for such behavior. Further violations of this Court's rules will lead to the imposition of sanctions, including fees payable to the Clerk of Court. So Ordered by Magistrate Judge Sanket J. Bulsara on 4/8/2020. (Ferrara, Anthony) Modified on 4/9/2020 (to correct fifth sentence) (Ferrara, Anthony).
April 7, 2020 Filing 26 (STRICKEN) NOTICE by Timothy Abbey, Wolverine Xpress NOTICE OF SERVICE OF SUBPOENA UPON NEW YORK CITY DEPARTMENT OF CONSUMER AFFAIRS (Rosen, Gary) Modified on 4/9/2020 (Manson, Eddie).
April 7, 2020 Filing 25 (STRICKEN) NOTICE by Timothy Abbey, Wolverine Xpress NOTICE OF SERVICE OF SUBPOENA UPON NEW YORK CITY POLICE DEPARTMENT (Rosen, Gary) Modified on 4/9/2020 (Manson, Eddie).
April 7, 2020 Filing 24 REPLY to Response to Motion re #23 MOTION for Disclosure and MOTION for Discovery ordering Defendants and Defendants counsel Errol Margolin to disclose how Defendants and Defendants counsel came into possession of Exhibit A (Exhibit 1 to this motion) to letter from Defendants counsel to the Court dated Apri , RESPONSE to Motion re #23 MOTION for Disclosure and MOTION for Discovery ordering Defendants and Defendants counsel Errol Margolin to disclose how Defendants and Defendants counsel came into possession of Exhibit A (Exhibit 1 to this motion) to letter from Defendants counsel to the Court dated Apri filed by Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp.. (Margolin, Errol)
April 7, 2020 Filing 23 MOTION for Disclosure and, MOTION for Discovery ordering Defendants and Defendants counsel Errol Margolin to disclose how Defendants and Defendants counsel came into possession of Exhibit A (Exhibit 1 to this motion) to letter from Defendants counsel to the Court dated April 6, 2020; Disclose where the Exhibit A (Exhibit 1 to this motion) was received by Defendants or Defendants counsel; Disclose who provided Exhibit A (Exhibit 1 to this motion) to Defendants or Defendants counsel and when; Disclose whether Defendants, Defendants counsel or any third party acting under the control of or as agents for Defendants, Defendants counsel illegally intercepted any emails from Plaintiffs counsel; Disclose when the email as annexed as Exhibit A (Exhibit 1 to this motion) to the letter from Defendants counsel to the Court dated April 6, 2020, was obtained by Errol Margolin, Esq.; Disclose when the email as annexed as Exhibit A (Exhibit 1 to this motion) to the letter from Defendants counsel to the Court dated April 6, 2020, was obtained by Defendants and which of the Defendants received it and from whom; If Gary Rosen, Esq.s email account was compromised by Errol Margolin, Esq., Runway Towing Corp. or agents or contractors of them; and for such other and further relief as this Court deems just and proper. by Timothy Abbey, Wolverine Xpress. (Rosen, Gary)
April 7, 2020 Filing 22 Letter by Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp. (Attachments: #1 Exhibit Exhibit A - Gary Rosen Email) (Margolin, Errol)
April 3, 2020 Opinion or Order ORDER: Defendants have filed interrogatories at Dkt. Nos. 18 and 19 and notices of depositions at Dkt. Nos. 20 and 21. Reminder: Discovery materials unrelated to pending disputes or motions before this Court are not to be filed on ECF. Dkt. Nos. 18-21 shall be removed from the docket. So Ordered by Magistrate Judge Sanket J. Bulsara on 4/3/2020. (Ferrara, Anthony)
April 2, 2020 Filing 21 NOTICE to Take Deposition by Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp.. (Margolin, Errol)
April 2, 2020 Filing 20 NOTICE to Take Deposition by Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp.. (Margolin, Errol)
April 2, 2020 Filing 19 INTERROGATORIES Propounded by Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp.. (Margolin, Errol)
April 2, 2020 Filing 18 INTERROGATORIES Propounded by Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp.. (Margolin, Errol)
March 26, 2020 Filing 17 NOTICE of Appearance by Philip Pierce on behalf of Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp. (notification declined or already on case) (Pierce, Philip)
March 20, 2020 Filing 16 Proposed Scheduling Order by Timothy Abbey (Rosen, Gary)
March 20, 2020 Minute Entry And Order for proceedings held before Magistrate Judge Sanket J. Bulsara: An in person initial/telephone conference was held on 3/20/2020. Counsel for both parties were present. Counsel Errol F. Margolin shall file a notice of appearance on ECF. The parties shall submit a joint certification that discovery has been completed by 12/18/2020. Deadlines set based on parties' submitted joint discovery worksheet and are as follow: All fact discovery shall be completed by 7/31/2020; completion of all discovery by 12/18/2020; the last date to take the first step in dispositive motion practice shall be 1/29/2021. An in-person settlement conference will be held on 6/09/2020 at 2:00 PM before Magistrate Judge Bulsara in Courtroom 324N. All parties must be present. Parties are to submit their respective ex parte settlement positions via Chambers email no later than three days before 6/09/2020. Counsel are to refer to the Settlement Section of this Court's Individual Rules in preparation for the conference, which is available on the Courts website. (AT&T Conference call: 11:31-11:40.) (Manson, Eddie)
March 19, 2020 Filing 15 Subpoena by Timothy Abbey. (Attachments: #1 Exhibit SUBPOENA TO BE "SO-ORDERED", #2 Exhibit SUBPOENA TO BE "SO-ORDERED") (Rosen, Gary)
March 18, 2020 Opinion or Order ORDER: In light of the letter #14 filed by Defendants, the initial conference set for 3/20/2020 at 11:30 AM will be held via telephone. The parties are directed to call the toll-free number 877-336-1274. The access code is 6534420. The parties shall dial in five (5) minutes before the 11:30 AM conference. So Ordered by Magistrate Judge Sanket J. Bulsara on 3/18/2020. (Ferrara, Anthony)
March 17, 2020 Filing 14 Letter by Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp. (Margolin, Errol)
February 26, 2020 Filing 13 Answer and Affirmative Defenses to Complaint ANSWER to #1 Complaint, by Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp.. (Pierce, Philip)
January 30, 2020 Opinion or Order ORDER: In light of the stipulation #12 filed by the parties, Defendants Chris Pritsinevelos, Cynthia Pritsinevelos, and Runway Towing Corp. shall answer or otherwise respond to the Complaint by 2/28/2020. So Ordered by Magistrate Judge Sanket J. Bulsara on 1/30/2020. (Ferrara, Anthony)
January 29, 2020 Filing 12 STIPULATION Extending Time to Answer by Cynthia Pritsinevelos (Pierce, Philip)
January 29, 2020 REQUEST for Certificate of Default is denied at this time. It appears from the docket that defendants have been granted an extension of time to file an answer by February 28, 2020. re #10 Request for Certificate of Default, #9 Request for Certificate of Default, #8 Request for Certificate of Default (Poveda, J.)
January 28, 2020 Filing 11 NOTICE of Appearance by Philip Pierce on behalf of All Defendants (aty to be noticed) (Pierce, Philip)
January 27, 2020 Filing 10 Request for Certificate of Default by Timothy Abbey, Wolverine Xpress (Rosen, Gary)
January 27, 2020 Filing 9 Request for Certificate of Default by Timothy Abbey, Wolverine Xpress (Rosen, Gary)
January 26, 2020 Filing 8 Request for Certificate of Default by Timothy Abbey, Wolverine Xpress (Rosen, Gary)
January 14, 2020 Opinion or Order Filing 7 SCHEDULING ORDER: An in-person initial conference will be held at 11:30 AM on 3/20/2020 before Magistrate Judge Bulsara in Courtroom 324N. All counsel must attend. Plaintiff is directed to notify Defendant of this scheduling order at the time that Defendant makes an appearance in this matter. Counsel are also directed to complete the attached Discovery Plan Worksheet and electronically file same with the Court no later than two days before 3/20/2020. Should the parties wish to adopt a plan for discovery different from the structure in the discovery worksheet, they may do so only if they file a letter explaining why such a plan is appropriate in this case. So Ordered by Magistrate Judge Sanket J. Bulsara on 1/14/2020. (Manson, Eddie)
January 3, 2020 Filing 6 SUMMONS Returned Executed by Timothy Abbey, Wolverine Xpress. Runway Towing Corp. served on 12/28/2019, answer due 1/20/2020. (Rosen, Jared)
December 31, 2019 Filing 5 NOTICE of Appearance by Jared Michael Rosen on behalf of All Plaintiffs (aty to be noticed) (Rosen, Jared)
December 26, 2019 Filing 4 This attorney case opening filing has been checked for quality control. See the attachment for corrections that were made, if any. (Bowens, Priscilla)
December 26, 2019 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. (Bowens, Priscilla)
December 19, 2019 Filing 2 Summons Issued as to Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp.. (Bowens, Priscilla)
December 19, 2019 Case assigned to Judge Frederic Block and Magistrate Judge Sanket J. Bulsara. 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. (Bowens, Priscilla)
December 19, 2019 Filing 1 COMPLAINT against Chris Pritsinevelos, Cynthia Pritsinevelos, Runway Towing Corp. filing fee $ 400, receipt number ANYEDC-12174974 Was the Disclosure Statement on Civil Cover Sheet completed -yes,, filed by TIMOTHY ABBEY, Wolverine Xpress. (Attachments: #1 Civil Cover Sheet, #2 Summons upon Defendant Runway Towing Corp., #3 Proposed Summons Summons upon Defendant Chris Pritsinevelos, #4 Proposed Summons Summons upon Defendant Cynthia Pritsinevelos) (Rosen, Gary)

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Defendant: Cynthia Pritsinevelos
Represented By: Philip Pierce
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Defendant: Runway Towing Corp.
Represented By: Philip Pierce
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Defendant: Chris Pritsinevelos
Represented By: Philip Pierce
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Defendant: John Doe 1 and John Doe 2
Represented By: Philip Pierce
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Plaintiff: Wolverine Xpress
Represented By: Gary Rosen
Represented By: Jared Michael Rosen
Represented By: Michael J. Noonan
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Plaintiff: TIMOTHY ABBEY
Represented By: Gary Rosen
Represented By: Jared Michael Rosen
Represented By: Michael J. Noonan
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