Johnson-Kee v. Spadafina et al
Ebony Johnson-Kee, |
The Floating Hospital Incorporated, Sarah Marie Spadafina M.D. and United States of America |
1:2021cv00960 |
February 22, 2021 |
US District Court for the Eastern District of New York |
Brian M Cogan |
Personal Inj. Med. Malpractice |
28 U.S.C. ยง 1402 Medical Malpractice |
None |
Docket Report
This docket was last retrieved on February 23, 2021. A more recent docket listing may be available from PACER.
Document Text |
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Filing 6 STIPULATION AND ORDER DISMISSING CASE without prejudice; The United States of America is, by operation of law, is substituted as the party defendant for Sarah Marie Spadafina, M.D., and The Floating Hospital (Incorporated). ( Ordered by Judge Brian M. Cogan on 2/23/2021 ) *Forwarded for jgm. (Guzzi, Roseann) |
Filing 5 STIPULATION of Dismissal Without Prejudice and Substitution by Operation of Law of the United States of America as Sole Defendant by Sarah Marie Spadafina M.D., The Floating Hospital Incorporated (Mailloux, Matthew) |
Filing 4 SCHEDULING ORDER: A telephonic Initial Status Conference is set for 3/11/2021 at 11:30 AM. Parties will use the toll-free number 888-684-8852, access code 6427877# and security code 0960#. The parties are directed to comply with the attached mandatory requirements, including filing on the docket a completed case management plan prior to the conference. If not done already, plaintiff must deliver ALL authorizations and medical releases to defendant at least seven (7) days prior to the conference. Ordered by Judge Brian M. Cogan on 2/22/2021. (Weisberg, Peggy) |
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) |
Filing 2 This attorney case opening filing has been checked for quality control. See the attachment for corrections that were made, if any. ***Please Refer to ALL Corrections made on this docket*** (Davis, Kimberly) |
Filing 1 NOTICE OF REMOVAL by SARAH MARIE SPADAFINA M.D. and THE FLOATING HOSPITAL INCORPORATED (Attachments: #1 Civil Cover Sheet, #2 Exhibit A, #3 Exhibit B, #4 Exhibit C) (Mailloux, Matthew) |
Case Assigned to Judge Brian M. Cogan. 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) |
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