Lamarche v. Greyhound Lines Inc. et al
Plaintiff: Cindylyn Lamarche
Defendant: Greyhound Lines Inc., Laidlaw International, Inc. and UGL UNICCO
3Rd Party Defendant: Motor Coach Industries, Inc. and The Goodyear Tire & Rubber Company
Case Number: 1:2008cv02438
Filed: March 11, 2008
Court: US District Court for the Southern District of New York
Office: Foley Square Office
County: XX Out of State
Presiding Judge: George B Daniels
Nature of Suit: P.I.: Other
Cause of Action: 28 U.S.C. § 1332 tm
Jury Demanded By: Defendant
Docket Report

This docket was last retrieved on April 4, 2012. A more recent docket listing may be available from PACER.

Date Filed Document Text
April 4, 2012 Opinion or Order Filing 170 MEMORANDUM DECISION AND ORDER: Defendant Goodyear is awarded costs in the amount of $3,778.97 (inclusive of the $599.04 already embodied in the Judgment). (Signed by Judge George B. Daniels on 4/4/2012) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al. (pursuant to instructions from Chambers).(djc)
January 27, 2012 Filing 169 MEMORANDUM OF LAW in Opposition re: (164 in 1:08-cv-03566-GBD, 160 in 1:07-cv-03289-GBD, 162 in 1:07-cv-08364-GBD, 163 in 1:08-cv-02439-GBD, 190 in 1:06-cv-07108-GBD, 161 in 1:06-cv-11382-GBD, 159 in 1:07-cv-06889-GBD, 168 in 1:08-cv-02440-GBD, 163 in 1:07-cv-03098-GBD, 356 in 1:06-cv-13371-GBD -DCF, 160 in 1:07-cv-09299-GBD, 154 in 1:08-cv-04465-GBD, 165 in 1:08-cv-02438-GBD, 52 in 1:09-cv-07285-GBD, 167 in 1:06-cv-07110-GBD) MOTION for Taxation of Costs / Notice of Motion to Review Taxation of Costs.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
January 20, 2012 Filing 168 CERTIFICATE OF SERVICE. Document filed by The Goodyear Rubber and Tire Company. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
January 20, 2012 Filing 167 MEMORANDUM OF LAW in Support re: (164 in 1:08-cv-03566-GBD, 160 in 1:07-cv-03289-GBD, 162 in 1:07-cv-08364-GBD, 163 in 1:08-cv-02439-GBD, 190 in 1:06-cv-07108-GBD, 161 in 1:06-cv-11382-GBD, 159 in 1:07-cv-06889-GBD, 168 in 1:08-cv-02440-GBD, 163 in 1:07-cv-03098-GBD, 356 in 1:06-cv-13371-GBD -DCF, 160 in 1:07-cv-09299-GBD, 154 in 1:08-cv-04465-GBD, 165 in 1:08-cv-02438-GBD, 52 in 1:09-cv-07285-GBD, 167 in 1:06-cv-07110-GBD) MOTION for Taxation of Costs / Notice of Motion to Review Taxation of Costs.. Document filed by The Goodyear Rubber and Tire Company. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
January 20, 2012 Filing 166 DECLARATION of Alan D. Kaplan in Support re: (164 in 1:08-cv-03566-GBD, 160 in 1:07-cv-03289-GBD, 163 in 1:08-cv-02439-GBD, 190 in 1:06-cv-07108-GBD, 161 in 1:06-cv-11382-GBD, 356 in 1:06-cv-13371-GBD -DCF, 154 in 1:08-cv-04465-GBD, 165 in 1:08-cv-02438-GBD, 162 in 1:07-cv-08364-GBD, 159 in 1:07-cv-06889-GBD, 168 in 1:08-cv-02440-GBD, 163 in 1:07-cv-03098-GBD, 160 in 1:07-cv-09299-GBD, 52 in 1:09-cv-07285-GBD, 167 in 1:06-cv-07110-GBD) MOTION for Taxation of Costs / Notice of Motion to Review Taxation of Costs.. Document filed by The Goodyear Rubber and Tire Company. (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3, #4 Exhibit 4)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
January 20, 2012 Filing 165 MOTION for Taxation of Costs / Notice of Motion to Review Taxation of Costs. Document filed by The Goodyear Rubber and Tire Company.Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
January 13, 2012 Minute Entry Bill of Cost Hearing held on 1/13/2012 before Judgment Clerk: Michael Lee. All parties having appeared. Objections submitted. Associated Cases: 1:06-cv-13371-GBD -DCF et al.(ml)
December 5, 2011 Filing 164 MANDATE of USCA (Certified Copy) as to (152 in 1:08-cv-04465-GBD, 353 in 1:06-cv-13371-GBD -DCF, 166 in 1:08-cv-02440-GBD, 165 in 1:06-cv-07110-GBD, 158 in 1:07-cv-09299-GBD, 188 in 1:06-cv-07108-GBD, 163 in 1:08-cv-02438-GBD, 161 in 1:08-cv-02439-GBD, 160 in 1:07-cv-08364-GBD, 159 in 1:06-cv-11382-GBD, 161 in 1:07-cv-03098-GBD, 157 in 1:07-cv-06889-GBD, 50 in 1:09-cv-07285-GBD, 162 in 1:08-cv-03566-GBD, 158 in 1:07-cv-03289-GBD) Notice of Appeal, filed by Greyhound Lines, Inc. USCA Case Number 11-3762. The parties in the above-referenced case have filed a stipulation withdrawing this appeal pursuant to FRAP 42. The stipulation is hereby "So Ordered". Catherine O'Hagan Wolfe, Clerk USCA for the Second Circuit. Issued As Mandate: 12/02/2011. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(tp)
December 5, 2011 Transmission of USCA Mandate/Order to the District Judge re: (162 in 1:08-cv-02439-GBD, 159 in 1:07-cv-03289-GBD, 51 in 1:09-cv-07285-GBD, 161 in 1:07-cv-08364-GBD, 164 in 1:08-cv-02438-GBD, 354 in 1:06-cv-13371-GBD -DCF, 167 in 1:08-cv-02440-GBD, 162 in 1:07-cv-03098-GBD, 166 in 1:06-cv-07110-GBD, 159 in 1:07-cv-09299-GBD, 160 in 1:06-cv-11382-GBD, 163 in 1:08-cv-03566-GBD, 153 in 1:08-cv-04465-GBD, 189 in 1:06-cv-07108-GBD, 158 in 1:07-cv-06889-GBD) USCA Mandate. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(tp)
September 15, 2011 Transmission of Notice of Appeal to the District Judge re: 353 in 1:06-cv-13371-GBD -DCF, Notice of Appeal,,. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(nd)
September 15, 2011 Transmission of Notice of Appeal and Certified Copy of Docket Sheet to US Court of Appeals re: ( 353 in 1:06-cv-13371-GBD -DCF) Notice of Appeal,,. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(nd)
September 14, 2011 Filing 163 NOTICE OF APPEAL from (352 in 1:06-cv-13371-GBD -DCF, 161 in 1:08-cv-03566-GBD, 164 in 1:06-cv-07110-GBD, 159 in 1:07-cv-08364-GBD, 162 in 1:08-cv-02438-GBD, 156 in 1:07-cv-06889-GBD, 157 in 1:07-cv-09299-GBD, 187 in 1:06-cv-07108-GBD, 160 in 1:08-cv-02439-GBD, 49 in 1:09-cv-07285-GBD, 160 in 1:07-cv-03098-GBD, 151 in 1:08-cv-04465-GBD, 165 in 1:08-cv-02440-GBD, 158 in 1:06-cv-11382-GBD, 157 in 1:07-cv-03289-GBD) Clerk's Judgment,. Document filed by Greyhound Lines, Inc.. Filing fee $ 455.00, receipt number 465401016453. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(nd)
August 16, 2011 Filing 162 CLERK'S JUDGMENT That for the reasons stated in the Court's Order dated August 12, 2011, final judgment is entered in this and all the related actions reflecting the dismissal of Greyhound's and Goodyear's claims against each other; accordingly, this case and all related cases are closed. (Signed by Clerk of Court Ruby Krajick on 8/16/11) (Attachments: #1 notice of right to appeal)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(ml)
August 15, 2011 Opinion or Order Filing 161 ORDER: The Court having dismissed all of Greyhound's claims against Goodyear, and all of Goodyear's claims against Greyhound, in the above entitled action and all the related actions, the Clerk of the Court shall enter final judgment in this and all the related actions reflecting the dismissal of Greyhound's and Goodyear's claims against each other and close this case and all related cases. (Signed by Judge George B. Daniels on 8/12/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(mro)
August 15, 2011 Transmission to Judgments and Orders Clerk. Transmitted re: (163 in 1:06-cv-07110-GBD, 158 in 1:07-cv-08364-GBD, 159 in 1:07-cv-03098-GBD, 164 in 1:08-cv-02440-GBD, 157 in 1:06-cv-11382-GBD, 186 in 1:06-cv-07108-GBD, 156 in 1:07-cv-09299-GBD, 156 in 1:07-cv-03289-GBD, 160 in 1:08-cv-03566-GBD, 150 in 1:08-cv-04465-GBD, 159 in 1:08-cv-02439-GBD, 351 in 1:06-cv-13371-GBD -DCF, 48 in 1:09-cv-07285-GBD, 155 in 1:07-cv-06889-GBD, 161 in 1:08-cv-02438-GBD) Order to the Judgments and Orders Clerk. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(mro)
August 3, 2011 Opinion or Order Filing 160 MEMORANDUM DECISION AND ORDER: Goodyears motion for summary judgment dismissing all of Greyhound's claims against Goodyear is granted. So Ordered. (Signed by Judge George B. Daniels on 8/3/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(js)
May 25, 2011 Opinion or Order Filing 159 ORDER: Oral argument on Goodyear's motion for summary judgment is scheduled for Tuesday, May 31, 2011 at 2:30 pm. (Oral Argument set for 5/31/2011 at 02:30 PM before Judge George B. Daniels.) (Signed by Judge George B. Daniels on 5/23/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al. (ab)
April 29, 2011 Opinion or Order Filing 158 ENDORSED LETTER: addressed to Judge George B. Daniels from Kevin B. Pollack dated 4/27/2011 re: Greyhound requests up to a fifteen (15) page extension with respect to its Brief that will be filed in opposition to Goodyear's motion for summary judgment seeking dismissal of Greyhound's cross-claims which will be filed by Greyhound on or before Friday, May 6, 2011. ENDORSEMENT: So Ordered. (Signed by Judge George B. Daniels on 4/29/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(js)
March 30, 2011 Opinion or Order Filing 157 STIPULATION OF DISCONTINUANCE AND ORDER OF DISMISSAL WITH PREJUDICE: It is hereby stipulated and agreed by and between the parties that this action be, and the same hereby is, discontinued with prejudice, and said action by the plaintiff Cindylyn Lamarche against the defendant Greyhound Lines, Inc. only is hereby dismissed with prejudice, without costs to either of said parties against the other. (Signed by Judge George B. Daniels on 3/30/2011) (jpo)
March 14, 2011 Opinion or Order Filing 156 ENDORSED LETTER addressed to Judge George B. Daniels from David K. Lietz dated 3/14/2011 re: Plaintiffs withdraw the motion to exclude the testimony of Glen Reuschling Documents 246 and 247 and the motion to exclude the testimony of Dr. Charles Wetli Documents 219 and 220. ENDORSEMENT: So Ordered. (Signed by Judge George B. Daniels on 3/14/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(jpo)
March 14, 2011 Opinion or Order Filing 155 ENDORSED LETTER addressed to Judge George B. Daniels from Noah K. Kushlefsky dated 3/10/11 re: As the Court is aware, all plaintiffs' claims in the above referenced consolidated action have been resolved by settlement. The plaintiffs still have pending a motion for sanctions, which is in the court docket as Documents 207 and 208. Considering that all of the plaintiffs' cases have resolved, plaintiffs withdraw the motion for sanctions ENDORSEMENT: SO ORDERED.(Signed by Judge George B. Daniels on 3/14/11); filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al. (djc)
March 2, 2011 Opinion or Order Filing 154 ORDER Third Party Defendant Goodyear's claims against Third Party Defendant Motor Coach Industries are dismissed. All outstanding motions by Motor Coach Industries are terminated as moot. SO ORDERED. (Signed by Judge George B. Daniels on 3/2/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(jmi)
March 2, 2011 Opinion or Order Filing 153 ORDER OF DISMISSAL Because the parties have represented that they have settled, the Clerk of the Court is ordered to close the following matters Of the related cases, only Anderson v. Greyhound. 06-cv-13371 and Boudet v. Greyhound, 07-cv-3098 are to remain open. SO ORDERED. (Signed by Judge George B. Daniels on 3/2/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(jmi)
March 2, 2011 Opinion or Order Filing 152 ORDER OF DISMISSAL Defendant Greyhound's claims against Third Party Defendant UNICCO are dismissed. (Signed by Judge George B. Daniels on 3/2/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(jmi)
February 15, 2011 Opinion or Order Filing 150 ENDORSED LETTER addressed to Judge George B. Daniels from Melissa A. Dorman dated 2/15/2011 re: Counsel request permission to bring a laptop computer to Court for tomorrow's hearing on pending Daubert and summary judgment motions. ENDORSEMENT: So Ordered. (Signed by Judge George B. Daniels on 2/15/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(jfe)
February 7, 2011 Opinion or Order Filing 151 ORDER. Greyhound's Motion for Partial Summary Judgment Dismissing Plaintiffs' Claim for Punitive Damages is granted. (Signed by Judge George B. Daniels on 2/7/2011) (rjm)
February 7, 2011 Opinion or Order Filing 149 ORDER: Plaintiffs' motion for summary judgment on the issue of liability is denied. (Signed by Judge George B. Daniels on 2/4/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al. (lnl)
February 3, 2011 Opinion or Order Filing 148 ORDER: Due to inclement weather, the (Status) conference in this matter is rescheduled to Friday, February 4, 2011 at 12:30 pm. (Signed by Judge George B. Daniels on 2/2/11) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(db)
February 2, 2011 Opinion or Order Filing 147 ORDER: Due to inclement weather, the conference in this matter is rescheduled to Friday, February 4, 2011 at 12:30 pm. ( Status Conference set for 2/4/2011 at 12:30 PM before Judge George B. Daniels.) (Signed by Judge George B. Daniels on 2/2/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(ae)
January 28, 2011 Filing 146 REPLY MEMORANDUM OF LAW in Opposition re: (118 in 1:08-cv-02440-GBD, 110 in 1:07-cv-08364-GBD, 114 in 1:08-cv-02438-GBD, 107 in 1:07-cv-03289-GBD, 109 in 1:07-cv-06889-GBD, 103 in 1:08-cv-04465-GBD, 116 in 1:06-cv-07110-GBD, 113 in 1:08-cv-02439-GBD, 113 in 1:08-cv-03566-GBD, 107 in 1:07-cv-09299-GBD, 111 in 1:06-cv-11382-GBD, 136 in 1:06-cv-07108-GBD, 267 in 1:06-cv-13371-GBD -DCF, 113 in 1:07-cv-03098-GBD) MOTION to Preclude Goodyear's Experts from Testifying at the Time of Trial.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
January 26, 2011 Opinion or Order Filing 145 ENDORSED LETTER addressed to Judge George B. Daniels from Kevin B. Pollak, dated 1/25/2011, re: This office represents Greyhound Lines, Inc. ("Greyhound") in the above matters. By way of this letter, Greyhound would request an 8 page extension with respect to its reply Memorandum of Law that Greyhound will be filing on or before Friday, January 28, 2011 in connection with its previously filed Motion to Preclude Goodyear's Experts (Doc. #s 267 and 268). The additional pages are necessary due to the numerous issues raised by Goodyear in its Opposition to Greyhound's Motion to Preclude Goodyear's Experts (Doc. # 302). Presumably, this request is satisfactory with the Court and Greyhound will proceed accordingly unless otherwise directed. ENDORSEMENT: SO ORDERED. (Signed by Judge George B. Daniels on 1/26/2011) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al. (lnl)
January 25, 2011 Filing 144 REPLY MEMORANDUM OF LAW in Opposition re: (269 in 1:06-cv-13371-GBD -DCF, 108 in 1:07-cv-03289-GBD, 108 in 1:07-cv-09299-GBD, 137 in 1:06-cv-07108-GBD, 112 in 1:06-cv-11382-GBD, 117 in 1:06-cv-07110-GBD, 114 in 1:08-cv-03566-GBD, 115 in 1:08-cv-02438-GBD, 114 in 1:07-cv-03098-GBD, 114 in 1:08-cv-02439-GBD, 104 in 1:08-cv-04465-GBD, 110 in 1:07-cv-06889-GBD, 111 in 1:07-cv-08364-GBD, 119 in 1:08-cv-02440-GBD) MOTION for Summary Judgment Partial Summary Judgment to Dismiss Plaintiffs' Claim for Punitive Damages.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc., Greyhound Lines Inc.. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit B, #3 Exhibit Exhibit C, #4 Exhibit Exhibit D, #5 Exhibit Exhibit E, #6 Exhibit Exhibit F)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
January 21, 2011 Filing 143 CERTIFICATE OF SERVICE. Document filed by The Goodyear Rubber and Tire Company. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
January 21, 2011 Filing 142 MEMORANDUM OF LAW in Opposition re: (103 in 1:08-cv-04465-GBD) MOTION to Preclude Goodyear's Experts from Testifying at the Time of Trial.. Document filed by The Goodyear Rubber and Tire Company. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
January 21, 2011 Opinion or Order Filing 141 ENDORSED LETTER addressed to Judge George B. Daniels from Kevin B. Pollak dated 1/20/11 re: By way of this letter, Greyhound would request a 10-page extension with respect to its reply Memorandum of Law that Greyhound will be filing on or before Friday, January 28, 2011 in connection with its previously filed Motion for Partial Summary Judgment Dismissing Punitive Damages Claims (Doc. #s 269 and 270). The additional pages are necessary due to the numerous (factual) issues raised by the plaintiffs in their Opposition to Greyhound's Motion for Partial Summary Judgment Dismissing Punitive Damages Claims (Doc. # 298). Presumably, this request is satisfactory with the Court and Greyhound will proceed accordingly unless otherwise directed. ENDORSEMENT: SO ORDERED. (Signed by Judge George B. Daniels on 1/21/11); Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al. (djc) Modified on 1/26/2011 (djc). Modified on 1/26/2011 (djc).
January 18, 2011 Filing 140 MEMORANDUM OF LAW in Opposition re: (269 in 1:06-cv-13371-GBD -DCF, 108 in 1:07-cv-03289-GBD, 108 in 1:07-cv-09299-GBD, 137 in 1:06-cv-07108-GBD, 112 in 1:06-cv-11382-GBD, 117 in 1:06-cv-07110-GBD, 114 in 1:08-cv-03566-GBD, 115 in 1:08-cv-02438-GBD, 114 in 1:07-cv-03098-GBD, 114 in 1:08-cv-02439-GBD, 104 in 1:08-cv-04465-GBD, 110 in 1:07-cv-06889-GBD, 111 in 1:07-cv-08364-GBD, 119 in 1:08-cv-02440-GBD) MOTION for Summary Judgment Partial Summary Judgment to Dismiss Plaintiffs' Claim for Punitive Damages.. Document filed by Gnalen Bah, Mamadou Saidou Bah, Jacqueline Bertrand, Lauren Bickford-Bushey, Laure Boudet, Lionel Cadelis, Oury Cisse, Sylvina Jean Clavien, Betty Dorce Exume(individually), Betty Dorce Exume(as Administratrix of the Estate of Antonide Dorce, deceased), Fabian Garcia, Paola Garcia, Sherry Ann George, Sherry Ann George(Co-Administrator of the Estate of Doreen George, Deceased), Sherry Ann George(as Mother and Natural Guardian of Voshona George, Infant), Allison Idohou, Cindylyn Lamarche, Abi-Sara Machold, Maria Mercedes Rosario Breton, Marie Liliane Milard, Ramon Santiago, Teresita Santiago(as the Mother and Natural Guardian of Karen Santiago Diaz and Henry Lorenzo, infants), Teresita Santiago, Cheikh Sidy Mohamed Tambadou, Zibo Wang, Christian Yopa, Kirsten Anderson, Maria Merceds Breton, Betty Dorce Exume, Betty Dorce Exume, Sherry Ann George(as Mother and Natural Guardian of Voshona George, Infant), Allison Idohou. (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3, #4 Exhibit 4, #5 Exhibit 5, #6 Exhibit 6, #7 Exhibit 7, #8 Exhibit 8, #9 Exhibit 9, #10 Exhibit 10, #11 Exhibit 11, #12 Exhibit 12, #13 Exhibit 13, #14 Exhibit 14, #15 Exhibit 15, #16 Exhibit 16, #17 Exhibit 17, #18 Exhibit 18, #19 Exhibit 19, #20 Exhibit 20, #21 Exhibit 21, #22 Exhibit 22, #23 Exhibit 23, #24 Exhibit 24)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
January 7, 2011 Filing 139 REPLY re: (291 in 1:06-cv-13371-GBD -DCF, 128 in 1:07-cv-09299-GBD, 138 in 1:08-cv-02440-GBD, 129 in 1:07-cv-06889-GBD, 123 in 1:08-cv-04465-GBD, 131 in 1:06-cv-11382-GBD, 136 in 1:06-cv-07110-GBD, 133 in 1:07-cv-03098-GBD, 127 in 1:07-cv-03289-GBD, 156 in 1:06-cv-07108-GBD, 134 in 1:08-cv-02438-GBD, 130 in 1:07-cv-08364-GBD, 133 in 1:08-cv-03566-GBD, 133 in 1:08-cv-02439-GBD) Counter Statement to Rule 56.1,,,. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
January 7, 2011 Filing 138 REPLY MEMORANDUM OF LAW in Support re: (91 in 1:06-cv-07110-GBD, 82 in 1:07-cv-09299-GBD, 88 in 1:08-cv-03566-GBD, 88 in 1:08-cv-02439-GBD, 86 in 1:06-cv-11382-GBD, 85 in 1:07-cv-08364-GBD, 78 in 1:08-cv-04465-GBD, 93 in 1:08-cv-02440-GBD, 83 in 1:07-cv-06889-GBD, 111 in 1:06-cv-07108-GBD, 88 in 1:07-cv-03098-GBD, 89 in 1:08-cv-02438-GBD, 82 in 1:07-cv-03289-GBD, 233 in 1:06-cv-13371-GBD -DCF) MOTION for Summary Judgment.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
January 7, 2011 Filing 137 REPLY MEMORANDUM OF LAW in Support re: (79 in 1:08-cv-02438-GBD, 76 in 1:06-cv-11382-GBD, 73 in 1:07-cv-06889-GBD, 72 in 1:07-cv-03289-GBD, 216 in 1:06-cv-13371-GBD -DCF, 101 in 1:06-cv-07108-GBD, 78 in 1:08-cv-02439-GBD, 81 in 1:06-cv-07110-GBD, 70 in 1:07-cv-09299-GBD, 78 in 1:07-cv-03098-GBD, 75 in 1:07-cv-08364-GBD, 68 in 1:08-cv-04465-GBD, 83 in 1:08-cv-02440-GBD, 78 in 1:08-cv-03566-GBD) MOTION for Summary Judgment on the Issue of Liability.. Document filed by Kirsten Anderson, Cindylyn Lamarche, Abi-Sara Machold, Cheikh Sidy Mohamed Tambadou, Christian Yopa, Cheikh Sidy Mohamed Tambadou. (Attachments: #1 Exhibit 1)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
December 23, 2010 Filing 135 RESPONSE re: (82 in 1:06-cv-07110-GBD, 80 in 1:08-cv-02438-GBD, 79 in 1:08-cv-03566-GBD, 84 in 1:08-cv-02440-GBD, 76 in 1:07-cv-08364-GBD, 79 in 1:08-cv-02439-GBD, 71 in 1:07-cv-09299-GBD, 102 in 1:06-cv-07108-GBD, 73 in 1:07-cv-03289-GBD, 77 in 1:06-cv-11382-GBD, 74 in 1:07-cv-06889-GBD, 69 in 1:08-cv-04465-GBD, 79 in 1:07-cv-03098-GBD, 217 in 1:06-cv-13371-GBD -DCF) Rule 56.1 Statement, Plaintiffs' Statement of Undisputed Material Facts Pursuant to Local Rule 56.1. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit B)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 23, 2010 Filing 134 COUNTER STATEMENT TO (90 in 1:07-cv-03098-GBD, 235 in 1:06-cv-13371-GBD -DCF, 93 in 1:06-cv-07110-GBD, 113 in 1:06-cv-07108-GBD, 90 in 1:08-cv-02439-GBD, 84 in 1:07-cv-03289-GBD, 91 in 1:08-cv-02438-GBD, 87 in 1:07-cv-08364-GBD, 80 in 1:08-cv-04465-GBD, 95 in 1:08-cv-02440-GBD, 88 in 1:06-cv-11382-GBD, 90 in 1:08-cv-03566-GBD, 85 in 1:07-cv-06889-GBD, 84 in 1:07-cv-09299-GBD) Rule 56.1 Statement. Document filed by Cheikh Sidy Mohamed Tambadou. (Attachments: #1 Appendix List of Exhibits, #2 Exhibit A, #3 Exhibit B, #4 Exhibit C, #5 Exhibit D, #6 Exhibit E, #7 Exhibit F, #8 Exhibit G, #9 Exhibit H, #10 Exhibit I, #11 Exhibit J, #12 Exhibit K, #13 Exhibit L, #14 Exhibit M, #15 Exhibit N, #16 Exhibit O, #17 Exhibit P, #18 Exhibit Q, #19 Exhibit R, #20 Exhibit S, #21 Exhibit T, #22 Exhibit U, #23 Exhibit V)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Lietz, David)
December 23, 2010 Filing 133 MEMORANDUM OF LAW in Opposition re: (78 in 1:08-cv-04465-GBD) MOTION for Summary Judgment.. Document filed by Kirsten Anderson, Cindylyn Lamarche, Abi-Sara Machold, Cheikh Sidy Mohamed Tambadou, Christian Yopa. (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3, #4 Exhibit 4, #5 Exhibit 5, #6 Exhibit 6, #7 Exhibit 7)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
December 21, 2010 Filing 132 DECLARATION of Noah H. Kushlefsky in Support re: (118 in 1:08-cv-04465-GBD) MOTION for a liability case expense assessment and for the establishment of a common benefit fund.. Document filed by Kirsten Anderson, Oury Cisse, Cindylyn Lamarche, Abi-Sara Machold, Cheikh Sidy Mohamed Tambadou, Zibo Wang, Christian Yopa, Cheikh Sidy Mohamed Tambadou. (Attachments: #1 Exhibit 1A, #2 Exhibit 1B, #3 Exhibit 1C, #4 Exhibit 2, #5 Exhibit 3)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
December 21, 2010 Filing 131 DECLARATION of David Lietz in Support re: (118 in 1:08-cv-04465-GBD) MOTION for a liability case expense assessment and for the establishment of a common benefit fund.. Document filed by Kirsten Anderson, Oury Cisse, Cindylyn Lamarche, Abi-Sara Machold, Cheikh Sidy Mohamed Tambadou, Zibo Wang, Christian Yopa, Cheikh Sidy Mohamed Tambadou. (Attachments: #1 Exhibit 1)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
December 21, 2010 Filing 130 MEMORANDUM OF LAW in Support re: (118 in 1:08-cv-04465-GBD) MOTION for a liability case expense assessment and for the establishment of a common benefit fund.. Document filed by Kirsten Anderson, Oury Cisse, Cindylyn Lamarche, Abi-Sara Machold, Cheikh Sidy Mohamed Tambadou, Zibo Wang, Christian Yopa, Cheikh Sidy Mohamed Tambadou. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
December 21, 2010 Filing 129 MOTION for a liability case expense assessment and for the establishment of a common benefit fund. Document filed by Kirsten Anderson, Oury Cisse, Cindylyn Lamarche, Abi-Sara Machold, Cheikh Sidy Mohamed Tambadou, Zibo Wang, Christian Yopa, Cheikh Sidy Mohamed Tambadou.Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
December 20, 2010 Filing 128 REPLY MEMORANDUM OF LAW in Support re: (95 in 1:08-cv-03566-GBD, 85 in 1:08-cv-04465-GBD, 89 in 1:07-cv-09299-GBD, 96 in 1:08-cv-02438-GBD, 90 in 1:07-cv-06889-GBD, 95 in 1:08-cv-02439-GBD, 100 in 1:08-cv-02440-GBD, 95 in 1:07-cv-03098-GBD, 89 in 1:07-cv-03289-GBD, 118 in 1:06-cv-07108-GBD, 92 in 1:07-cv-08364-GBD, 93 in 1:06-cv-11382-GBD, 98 in 1:06-cv-07110-GBD, 241 in 1:06-cv-13371-GBD -DCF) Rule 56.1 Statement Third-Party Defendant Motor Coach Industries, Inc.'s Reply in Support of Its Statement of Undisputed Material Facts Pursuant to Local Rule 56.1. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Exhibit P, #2 Exhibit Q, #3 Exhibit R)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
December 20, 2010 Filing 127 REPLY MEMORANDUM OF LAW in Support re: (93 in 1:08-cv-03566-GBD, 87 in 1:07-cv-09299-GBD, 88 in 1:07-cv-06889-GBD, 116 in 1:06-cv-07108-GBD, 93 in 1:07-cv-03098-GBD, 87 in 1:07-cv-03289-GBD, 94 in 1:08-cv-02438-GBD, 96 in 1:06-cv-07110-GBD, 91 in 1:06-cv-11382-GBD, 239 in 1:06-cv-13371-GBD -DCF, 90 in 1:07-cv-08364-GBD, 83 in 1:08-cv-04465-GBD, 98 in 1:08-cv-02440-GBD, 93 in 1:08-cv-02439-GBD) MOTION for Summary Judgment Third-Party Defendant Motor Coach Industries, Inc.'s Motion for Summary Judgment. Third-Party Defendant Motor Coach Industries, Inc.'s Reply Brief Regarding Its Motion for Summary Judgment. Document filed by Motor Coach Industries, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
December 20, 2010 Filing 126 REPLY MEMORANDUM OF LAW in Support re: (91 in 1:08-cv-03566-GBD, 86 in 1:07-cv-06889-GBD, 114 in 1:06-cv-07108-GBD, 81 in 1:08-cv-04465-GBD, 91 in 1:07-cv-03098-GBD, 91 in 1:08-cv-02439-GBD, 94 in 1:06-cv-07110-GBD, 88 in 1:07-cv-08364-GBD, 92 in 1:08-cv-02438-GBD, 85 in 1:07-cv-03289-GBD, 85 in 1:07-cv-09299-GBD, 89 in 1:06-cv-11382-GBD, 236 in 1:06-cv-13371-GBD -DCF, 96 in 1:08-cv-02440-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Certain Opinions of Greyhound Lines, Inc.'s Designated Expert John Daws. Reply Memorandum of Law in Further Support of Motor Coach Industries, Inc.'s Motion to Exclude Certain Opinions of Greyhound Lines, Inc.'s Designated Expert John Daws. Document filed by Motor Coach Industries, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
December 15, 2010 Filing 125 REPLY to Response to Motion re: (76 in 1:08-cv-04465-GBD, 80 in 1:07-cv-09299-GBD, 91 in 1:08-cv-02440-GBD, 86 in 1:08-cv-03566-GBD, 86 in 1:07-cv-03098-GBD, 84 in 1:06-cv-11382-GBD, 231 in 1:06-cv-13371-GBD -DCF, 89 in 1:06-cv-07110-GBD, 80 in 1:07-cv-03289-GBD, 83 in 1:07-cv-08364-GBD, 87 in 1:08-cv-02438-GBD, 109 in 1:06-cv-07108-GBD, 81 in 1:07-cv-06889-GBD, 86 in 1:08-cv-02439-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert David Sallmann. Third Party Defendant Motor Coach Industries, Inc.'s Reply Brief Regarding Its Motion to Exclude Greyhound Lines, Inc.'s Expert David Sallmann. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
December 15, 2010 Opinion or Order Filing 124 ENDORSED LETTER addressed to Judge George B. Daniels from Marisa Leto, dated 12/13/2010, re: Counsel for Goodyear Tire & Rubber Company ("Goodyear") writes: Pursuant to the Court's Individual Rules of Practice, we write to respectfully request permission to exceed, by (less than) one page, the Court's 10 page limitation (Rule 2(C)) for Goodyear's reply memorandum of law in support of its motion pursuant to Federal Rules of Evidence 702 and Rule 56 of the Federal Rules of Civil Procedure to be filed on Wednesday, December 15, 2010. The Court previously granted Goodyear's request to submit a 45 page memorandum of law in support its motion, and Greyhound Lines, Inc.'s request to submit a 45 page memorandum of law in opposition. Our reply will be approximately 10 pages and several extra lines. If we do not hear from the Court prior to Wednesday, we will assume the Court has granted Goodyear's request. ENDORSEMENT: SO ORDERED. (Signed by Judge George B. Daniels on 12/15/2010) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al. (lnl)
December 15, 2010 Opinion or Order Filing 123 ENDORSED LETTER addressed to Judge George B. Daniels from Kevin B. Pollak, dated 12/14/2010, re: Counsel for Greyhound Lines, Inc. ("Greyhound") writes: By way of this letter I would like to advise the Court that counsel for the plaintiffs and Greyhound have agreed to a short extension of the briefing schedule regarding the plaintiffs' pending summary judgment motion (Doc. #s 216 - 217) and Greyhound's pending Daubert/summary judgment motion (Doc. # 233). The parties have consented to mutual extensions of time to oppose each others motions from December 16, 2010 to December 23, 2010, with reply papers due by January 7, 2011. Due to the amount of papers it is required to file Greyhound approached the plaintiffs with a request for an extension. (Today Greyhound is/will be filing its Daubert motion with regarding Goodyear's experts as well as its summary judgment motion regarding punitive damages). It was agreed to track the plaintiffs' and Greyhound's motions together, so the additional time mentioned above was agreed to. It is requested that the Court so order this modification. Additionally, Greyhound would request a 20-page extension regarding its responsive brief to the plaintiffs' summary judgment motion that Greyhound presumes is satisfactory, unless the Court directs otherwise. ENDORSEMENT: SO ORDERED. Set Deadlines as to (233 in 1:06-cv- 13371-GBD -DCF, 82 in 1:07-cv-09299-GBD, 85 in 1:07-cv-08364-GBD, 83 in 1:07-cv-06889-GBD, 82 in 1:07-cv-03289-GBD, 88 in 1:07-cv-03098-GBD, 86 in 1:06-cv-11382-GBD, 91 in 1:06-cv-07110-GBD, 111 in 1:06-cv-07108-GBD, 89 in 1:08-cv-02438-GBD, 88 in 1:08-cv-02439-GBD, 93 in 1:08-cv-02440-GBD, 78 in 1:08-cv-04465-GBD, 88 in 1:08-cv-03566-GBD) MOTION for Summary Judgment, (216 in 1:06-cv-13371-GBD -DCF, 70 in 1:07-cv-09299-GBD, 75 in 1:07-cv- 08364-GBD, 73 in 1:07-cv-06889-GBD, 72 in 1:07-cv-03289-GBD, 78 in 1:07-cv-03098-GBD, 76 in 1:06-cv-11382-GBD, 81 in 1:06-cv-07110-GBD, 101 in 1:06-cv-07108-GBD, 79 in 1:08-cv-02438-GBD, 78 in 1:08-cv-02439-GBD, 83 in 1:08-cv-02440-GBD, 68 in 1:08-cv-04465-GBD, 78 in 1:08-cv-03566-GBD) MOTION for Summary Judgment on the Issue of Liability: Responses due by 12/23/2010. Replies due by 1/7/2011. (Signed by Judge George B. Daniels on 12/15/2010) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al. (lnl)
December 15, 2010 Filing 122 REPLY to Response to Motion re: (85 in 1:08-cv-02438-GBD, 78 in 1:07-cv-09299-GBD, 229 in 1:06-cv-13371-GBD -DCF, 87 in 1:06-cv-07110-GBD, 79 in 1:07-cv-06889-GBD, 84 in 1:08-cv-03566-GBD, 89 in 1:08-cv-02440-GBD, 107 in 1:06-cv-07108-GBD, 84 in 1:07-cv-03098-GBD, 78 in 1:07-cv-03289-GBD, 74 in 1:08-cv-04465-GBD, 84 in 1:08-cv-02439-GBD, 81 in 1:07-cv-08364-GBD, 82 in 1:06-cv-11382-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert Glen Reuschling. Third-Party Defendant Motor Coach Industries, Inc.'s Reply Brief Regarding Its Motion to Exclude Greyhound Expert Glen Reuschling. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Exhibit A)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
December 15, 2010 Filing 121 CERTIFICATE OF SERVICE. Document filed by The Goodyear Rubber and Tire Company. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
December 15, 2010 Filing 120 REPLY MEMORANDUM OF LAW in Support re: (99 in 1:06-cv-07110-GBD, 119 in 1:06-cv-07108-GBD, 86 in 1:08-cv-04465-GBD, 101 in 1:08-cv-02440-GBD, 96 in 1:07-cv-03098-GBD, 94 in 1:06-cv-11382-GBD, 91 in 1:07-cv-06889-GBD, 90 in 1:07-cv-03289-GBD, 90 in 1:07-cv-09299-GBD, 97 in 1:08-cv-02438-GBD, 96 in 1:08-cv-03566-GBD, 93 in 1:07-cv-08364-GBD, 96 in 1:08-cv-02439-GBD, 242 in 1:06-cv-13371-GBD -DCF) MOTION for Summary Judgment / Notice of Motion to Exclude Expert Testimony and for Summary Judgment.. Document filed by The Goodyear Rubber and Tire Company. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
December 15, 2010 Filing 119 REPLY MEMORANDUM OF LAW in Support re: (103 in 1:06-cv-07110-GBD, 101 in 1:08-cv-02438-GBD, 100 in 1:08-cv-02439-GBD, 94 in 1:07-cv-09299-GBD, 105 in 1:08-cv-02440-GBD, 100 in 1:08-cv-03566-GBD, 98 in 1:06-cv-11382-GBD, 123 in 1:06-cv-07108-GBD, 95 in 1:07-cv-06889-GBD, 94 in 1:07-cv-03289-GBD, 100 in 1:07-cv-03098-GBD, 246 in 1:06-cv-13371-GBD -DCF, 90 in 1:08-cv-04465-GBD, 97 in 1:07-cv-08364-GBD) MOTION in Limine to exclude trial testimony of Glen Reuschling.. Document filed by Kirsten Anderson, Cindylyn Lamarche, Abi-Sara Machold, Cheikh Sidy Mohamed Tambadou, Christian Yopa, Cheikh Sidy Mohamed Tambadou. (Attachments: #1 Exhibit B2)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
December 15, 2010 Filing 118 REPLY to Response to Motion re: (78 in 1:07-cv-08364-GBD, 104 in 1:06-cv-07108-GBD, 86 in 1:08-cv-02440-GBD, 84 in 1:06-cv-07110-GBD, 81 in 1:08-cv-02439-GBD, 75 in 1:07-cv-09299-GBD, 71 in 1:08-cv-04465-GBD, 81 in 1:08-cv-03566-GBD, 82 in 1:08-cv-02438-GBD, 79 in 1:06-cv-11382-GBD, 76 in 1:07-cv-06889-GBD, 81 in 1:07-cv-03098-GBD, 226 in 1:06-cv-13371-GBD -DCF, 75 in 1:07-cv-03289-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert Mark Arndt. Third Party Defendant Motor Coach Industries, Inc.'s Reply Brief Regarding Its Motion to Exclude Greyhound Lines, Inc.'s Expert Mark Arndt. Document filed by Motor Coach Industries, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
December 14, 2010 Filing 117 RULE 56.1 STATEMENT. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit B, #3 Exhibit Exhibit C, #4 Exhibit Exhibit D, #5 Exhibit Exhibit E1, #6 Exhibit Exhibit E2, #7 Exhibit Exhibit F, #8 Exhibit Exhibit G, #9 Exhibit Exhibit H, #10 Exhibit Exhibit I, #11 Exhibit Exhibit J, #12 Exhibit Exhibit K, #13 Exhibit Exhibit L, #14 Exhibit Exhibit M, #15 Exhibit Exhibit N, #16 Exhibit Exhibit O, #17 Exhibit Exhibit P, #18 Exhibit Exhibit Q, #19 Exhibit Exhibit R, #20 Exhibit Exhibit S1, #21 Exhibit Exhibit S2, #22 Exhibit Exhibit T, #23 Exhibit Exhibit U, #24 Exhibit Exhibit V)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 14, 2010 Filing 116 MEMORANDUM OF LAW in Support re: (269 in 1:06-cv-13371-GBD -DCF, 108 in 1:07-cv-03289-GBD, 114 in 1:08-cv-02439-GBD, 108 in 1:07-cv-09299-GBD, 137 in 1:06-cv-07108-GBD, 112 in 1:06-cv-11382-GBD, 117 in 1:06-cv-07110-GBD, 104 in 1:08-cv-04465-GBD, 114 in 1:08-cv-03566-GBD, 115 in 1:08-cv-02438-GBD, 110 in 1:07-cv-06889-GBD, 114 in 1:07-cv-03098-GBD, 111 in 1:07-cv-08364-GBD, 119 in 1:08-cv-02440-GBD) MOTION for Summary Judgment Partial Summary Judgment to Dismiss Plaintiffs' Claim for Punitive Damages.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 14, 2010 Filing 115 MOTION for Summary Judgment Partial Summary Judgment to Dismiss Plaintiffs' Claim for Punitive Damages. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc..Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 14, 2010 Filing 114 MOTION to Preclude Goodyear's Experts from Testifying at the Time of Trial. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc..Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 10, 2010 Filing 113 MEMORANDUM OF LAW in Opposition re: (73 in 1:07-cv-09299-GBD, 219 in 1:06-cv-13371-GBD -DCF) MOTION in Limine to Exclude the Trial Testimoney of Charles V. Wetli, MD.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit B, #3 Exhibit Exhibit C, #4 Exhibit Exhibit D, #5 Exhibit Exhibit E, #6 Exhibit Exhibit F)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 7, 2010 Filing 112 MEMORANDUM OF LAW in Opposition re: (93 in 1:08-cv-03566-GBD, 87 in 1:07-cv-09299-GBD, 88 in 1:07-cv-06889-GBD, 116 in 1:06-cv-07108-GBD, 93 in 1:07-cv-03098-GBD, 87 in 1:07-cv-03289-GBD, 94 in 1:08-cv-02438-GBD, 96 in 1:06-cv-07110-GBD, 91 in 1:06-cv-11382-GBD, 239 in 1:06-cv-13371-GBD -DCF, 90 in 1:07-cv-08364-GBD, 83 in 1:08-cv-04465-GBD, 98 in 1:08-cv-02440-GBD, 93 in 1:08-cv-02439-GBD) MOTION for Summary Judgment Third-Party Defendant Motor Coach Industries, Inc.'s Motion for Summary Judgment.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit B)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 7, 2010 Filing 111 RESPONSE re: (89 in 1:07-cv-03289-GBD, 95 in 1:08-cv-03566-GBD, 118 in 1:06-cv-07108-GBD, 92 in 1:07-cv-08364-GBD, 93 in 1:06-cv-11382-GBD, 85 in 1:08-cv-04465-GBD, 98 in 1:06-cv-07110-GBD, 89 in 1:07-cv-09299-GBD, 241 in 1:06-cv-13371-GBD -DCF, 96 in 1:08-cv-02438-GBD, 90 in 1:07-cv-06889-GBD, 95 in 1:08-cv-02439-GBD, 100 in 1:08-cv-02440-GBD, 95 in 1:07-cv-03098-GBD) Rule 56.1 Statement. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 3, 2010 Filing 110 RESPONSE re: (97 in 1:08-cv-03566-GBD, 95 in 1:06-cv-11382-GBD, 87 in 1:08-cv-04465-GBD, 100 in 1:06-cv-07110-GBD, 97 in 1:08-cv-02439-GBD, 91 in 1:07-cv-03289-GBD, 94 in 1:07-cv-08364-GBD, 97 in 1:07-cv-03098-GBD, 243 in 1:06-cv-13371-GBD -DCF, 120 in 1:06-cv-07108-GBD, 91 in 1:07-cv-09299-GBD, 102 in 1:08-cv-02440-GBD, 92 in 1:07-cv-06889-GBD, 98 in 1:08-cv-02438-GBD) Rule 56.1 Statement. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit A2, #3 Exhibit B)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 3, 2010 Filing 109 MEMORANDUM OF LAW in Opposition re: (76 in 1:08-cv-04465-GBD, 80 in 1:07-cv-09299-GBD, 91 in 1:08-cv-02440-GBD, 86 in 1:08-cv-03566-GBD, 86 in 1:07-cv-03098-GBD, 84 in 1:06-cv-11382-GBD, 231 in 1:06-cv-13371-GBD -DCF, 89 in 1:06-cv-07110-GBD, 80 in 1:07-cv-03289-GBD, 83 in 1:07-cv-08364-GBD, 87 in 1:08-cv-02438-GBD, 109 in 1:06-cv-07108-GBD, 81 in 1:07-cv-06889-GBD, 86 in 1:08-cv-02439-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert David Sallmann.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit B, #3 Exhibit Exhibit C, #4 Exhibit Exhibit D, #5 Exhibit Exhibit D2, #6 Exhibit Exhibit E, #7 Exhibit Exhibit F)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 3, 2010 Filing 108 MEMORANDUM OF LAW in Opposition re: (223 in 1:06-cv-13371-GBD -DCF) MOTION for Summary Judgment.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit A2, #3 Exhibit Exhibit B, #4 Exhibit Exhibit C, #5 Exhibit Exhibit D, #6 Exhibit Exhibit E, #7 Exhibit Exhibit F, #8 Exhibit Exhibit G, #9 Exhibit Exhibit H)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 3, 2010 Filing 107 MEMORANDUM OF LAW in Opposition re: (103 in 1:06-cv-07110-GBD, 101 in 1:08-cv-02438-GBD, 100 in 1:08-cv-02439-GBD, 94 in 1:07-cv-09299-GBD, 105 in 1:08-cv-02440-GBD, 100 in 1:08-cv-03566-GBD, 98 in 1:06-cv-11382-GBD, 123 in 1:06-cv-07108-GBD, 95 in 1:07-cv-06889-GBD, 94 in 1:07-cv-03289-GBD, 100 in 1:07-cv-03098-GBD, 246 in 1:06-cv-13371-GBD -DCF, 90 in 1:08-cv-04465-GBD, 97 in 1:07-cv-08364-GBD) MOTION in Limine to exclude trial testimony of Glen Reuschling.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 3, 2010 Filing 106 MEMORANDUM OF LAW in Opposition re: (85 in 1:08-cv-02438-GBD, 78 in 1:07-cv-09299-GBD, 229 in 1:06-cv-13371-GBD -DCF, 87 in 1:06-cv-07110-GBD, 79 in 1:07-cv-06889-GBD, 84 in 1:08-cv-03566-GBD, 89 in 1:08-cv-02440-GBD, 107 in 1:06-cv-07108-GBD, 84 in 1:07-cv-03098-GBD, 78 in 1:07-cv-03289-GBD, 74 in 1:08-cv-04465-GBD, 84 in 1:08-cv-02439-GBD, 81 in 1:07-cv-08364-GBD, 82 in 1:06-cv-11382-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert Glen Reuschling.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 3, 2010 Filing 105 RESPONSE re: (225 in 1:06-cv-13371-GBD -DCF) Rule 56.1 Statement,,. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
December 2, 2010 Filing 104 MEMORANDUM OF LAW in Opposition re: (78 in 1:07-cv-08364-GBD, 104 in 1:06-cv-07108-GBD, 86 in 1:08-cv-02440-GBD, 84 in 1:06-cv-07110-GBD, 81 in 1:08-cv-02439-GBD, 75 in 1:07-cv-09299-GBD, 71 in 1:08-cv-04465-GBD, 81 in 1:08-cv-03566-GBD, 82 in 1:08-cv-02438-GBD, 79 in 1:06-cv-11382-GBD, 76 in 1:07-cv-06889-GBD, 81 in 1:07-cv-03098-GBD, 226 in 1:06-cv-13371-GBD -DCF, 75 in 1:07-cv-03289-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert Mark Arndt.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
November 29, 2010 Opinion or Order Filing 103 MEMO ENDORSEMENT on Amended Request of Motor Coach Industries, Inc. To Take Evidence Abroad of Claude Racicot. ENDORSEMENT: So Ordered. (Signed by Judge George B. Daniels on 11/29/10) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(cd)
November 5, 2010 Filing 102 MEMORANDUM OF LAW in Support re: (101 in 1:08-cv-02438-GBD, 94 in 1:07-cv-09299-GBD, 123 in 1:06-cv-07108-GBD, 246 in 1:06-cv-13371-GBD -DCF, 90 in 1:08-cv-04465-GBD, 97 in 1:07-cv-08364-GBD, 103 in 1:06-cv-07110-GBD, 100 in 1:08-cv-02439-GBD, 105 in 1:08-cv-02440-GBD, 100 in 1:08-cv-03566-GBD, 98 in 1:06-cv-11382-GBD, 95 in 1:07-cv-06889-GBD, 94 in 1:07-cv-03289-GBD, 100 in 1:07-cv-03098-GBD) MOTION in Limine to exclude trial testimony of Glen Reuschling.. Document filed by Allison Idohou, Abi-Sara Machold, Marie Liliane Milard, Christian Yopa. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E1, #6 Exhibit E2, #7 Exhibit F)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
November 5, 2010 Filing 101 MOTION in Limine to exclude trial testimony of Glen Reuschling. Document filed by Gnalen Bah, Mamadou Saidou Bah, Jacqueline Bertrand, Lauren Bickford-Bushey, Laure Boudet, Lionel Cadelis, Oury Cisse, Sylvina Jean Clavien, Betty Dorce Exume(individually), Betty Dorce Exume(as Administratrix of the Estate of Antonide Dorce, deceased), Fabian Garcia, Paola Garcia, Sherry Ann George, Sherry Ann George(Co-Administrator of the Estate of Doreen George, Deceased), Sherry Ann George(as Mother and Natural Guardian of Voshona George, Infant), Allison Idohou, Cindylyn Lamarche, Abi-Sara Machold, Maria Mercedes Rosario Breton, Marie Liliane Milard, Ramon Santiago, Teresita Santiago(as the Mother and Natural Guardian of Karen Santiago Diaz and Henry Lorenzo, infants), Teresita Santiago, Zibo Wang, Christian Yopa, Kirsten Anderson, Maria Merceds Breton, Betty Dorce Exume, Betty Dorce Exume, Sherry Ann George(as Mother and Natural Guardian of Voshona George, Infant), Allison Idohou.Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
November 5, 2010 Filing 100 CERTIFICATE OF SERVICE. Document filed by The Goodyear Rubber and Tire Company. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
November 5, 2010 Filing 99 MEMORANDUM OF LAW in Support re: (86 in 1:08-cv-04465-GBD) MOTION for Summary Judgment / Notice of Motion to Exclude Expert Testimony and for Summary Judgment.. Document filed by The Goodyear Rubber and Tire Company. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
November 5, 2010 Filing 98 RULE 56.1 STATEMENT. Document filed by The Goodyear Rubber and Tire Company. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
November 5, 2010 Filing 97 MOTION for Summary Judgment / Notice of Motion to Exclude Expert Testimony and for Summary Judgment. Document filed by The Goodyear Rubber and Tire Company.Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kaplan, Alan)
November 5, 2010 Filing 96 RULE 56.1 STATEMENT. Document filed by Motor Coach Industries, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 95 MEMORANDUM OF LAW in Support re: (93 in 1:08-cv-03566-GBD, 93 in 1:07-cv-03098-GBD, 87 in 1:07-cv-03289-GBD, 94 in 1:08-cv-02438-GBD, 96 in 1:06-cv-07110-GBD, 91 in 1:06-cv-11382-GBD, 239 in 1:06-cv-13371-GBD -DCF, 83 in 1:08-cv-04465-GBD, 87 in 1:07-cv-09299-GBD, 88 in 1:07-cv-06889-GBD, 116 in 1:06-cv-07108-GBD, 90 in 1:07-cv-08364-GBD, 98 in 1:08-cv-02440-GBD, 93 in 1:08-cv-02439-GBD) MOTION for Summary Judgment Third-Party Defendant Motor Coach Industries, Inc.'s Motion for Summary Judgment. Memorandum of Law In Support of Third-Party Defendant Motor Coach Industries, Inc.'s Motion for Summary Judgment. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Exhibit List, #2 Exhibit A, #3 Exhibit B, #4 Exhibit C, #5 Exhibit D, #6 Exhibit E, #7 Exhibit F, #8 Exhibit G, #9 Exhibit H, #10 Exhibit I, #11 Exhibit J, #12 Exhibit K, #13 Exhibit L, #14 Exhibit M, #15 Exhibit N, #16 Exhibit O)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 94 MOTION for Summary Judgment Third-Party Defendant Motor Coach Industries, Inc.'s Motion for Summary Judgment. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Text of Proposed Order)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 93 MEMORANDUM OF LAW in Support re: (114 in 1:06-cv-07108-GBD, 92 in 1:08-cv-02438-GBD, 85 in 1:07-cv-09299-GBD, 89 in 1:06-cv-11382-GBD, 236 in 1:06-cv-13371-GBD -DCF, 91 in 1:08-cv-03566-GBD, 86 in 1:07-cv-06889-GBD, 81 in 1:08-cv-04465-GBD, 91 in 1:07-cv-03098-GBD, 91 in 1:08-cv-02439-GBD, 94 in 1:06-cv-07110-GBD, 88 in 1:07-cv-08364-GBD, 85 in 1:07-cv-03289-GBD, 96 in 1:08-cv-02440-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Certain Opinions of Greyhound Lines, Inc.'s Designated Expert John Daws. Memorandum of Law in Support of Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Certain Opinions of Greyhound Lines, Inc.'s Designated Expert John Daws. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Exhibit List, #2 Exhibit A, #3 Exhibit B, #4 Exhibit C, #5 Exhibit D, #6 Exhibit E, #7 Exhibit F, #8 Exhibit G, #9 Exhibit H, #10 Exhibit I, #11 Exhibit J, #12 Exhibit K, #13 Exhibit L, #14 Exhibit M)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 92 MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Certain Opinions of Greyhound Lines, Inc.'s Designated Expert John Daws. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Text of Proposed Order)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 91 RULE 56.1 STATEMENT. Document filed by Greyhound Lines, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
November 5, 2010 Filing 90 MEMORANDUM OF LAW in Support re: (82 in 1:07-cv-09299-GBD, 88 in 1:08-cv-02439-GBD, 85 in 1:07-cv-08364-GBD, 78 in 1:08-cv-04465-GBD, 93 in 1:08-cv-02440-GBD, 83 in 1:07-cv-06889-GBD, 111 in 1:06-cv-07108-GBD, 89 in 1:08-cv-02438-GBD, 82 in 1:07-cv-03289-GBD, 91 in 1:06-cv-07110-GBD, 88 in 1:08-cv-03566-GBD, 86 in 1:06-cv-11382-GBD, 88 in 1:07-cv-03098-GBD, 233 in 1:06-cv-13371-GBD -DCF) MOTION for Summary Judgment.. Document filed by Greyhound Lines, Inc.. (Attachments: #1 Exhibit EXHIBIT A, #2 Exhibit EXHIBIT B, #3 Exhibit EXHIBIT C, #4 Exhibit EXHIBIT D, #5 Exhibit EXHIBIT E, #6 Exhibit EXHIBIT F, #7 Exhibit EXHIBIT G, #8 Exhibit EXHIBIT H, #9 Exhibit EXHIBIT I, #10 Exhibit EXHIBIT J, #11 Exhibit EXHIBIT K, #12 Exhibit EXHIBIT L1, #13 Exhibit EXHIBIT L2, #14 Exhibit EXHIBIT M)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
November 5, 2010 Filing 89 MOTION for Summary Judgment. Document filed by Greyhound Lines, Inc..Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
November 5, 2010 Filing 88 MEMORANDUM OF LAW in Support re: (76 in 1:08-cv-04465-GBD, 80 in 1:07-cv-09299-GBD, 91 in 1:08-cv-02440-GBD, 86 in 1:08-cv-03566-GBD, 86 in 1:07-cv-03098-GBD, 84 in 1:06-cv-11382-GBD, 231 in 1:06-cv-13371-GBD -DCF, 89 in 1:06-cv-07110-GBD, 80 in 1:07-cv-03289-GBD, 83 in 1:07-cv-08364-GBD, 87 in 1:08-cv-02438-GBD, 109 in 1:06-cv-07108-GBD, 81 in 1:07-cv-06889-GBD, 86 in 1:08-cv-02439-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert David Sallmann. Third-Party Defendant Motor Coach Industries, Inc.'s Memorandum of Law in Support of Its Motion to Exclude Greyhound Lines, Inc.'s Expert David Sallmann. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Exhibit List, #2 Exhibit A, #3 Exhibit B, #4 Exhibit C, #5 Exhibit D, #6 Exhibit E, #7 Exhibit F, #8 Exhibit G, #9 Exhibit H)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 87 MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert David Sallmann. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Text of Proposed Order)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 86 MEMORANDUM OF LAW in Support re: (85 in 1:08-cv-02438-GBD, 78 in 1:07-cv-09299-GBD, 229 in 1:06-cv-13371-GBD -DCF, 87 in 1:06-cv-07110-GBD, 84 in 1:08-cv-03566-GBD, 89 in 1:08-cv-02440-GBD, 107 in 1:06-cv-07108-GBD, 78 in 1:07-cv-03289-GBD, 74 in 1:08-cv-04465-GBD, 84 in 1:08-cv-02439-GBD, 81 in 1:07-cv-08364-GBD, 82 in 1:06-cv-11382-GBD, 79 in 1:07-cv-06889-GBD, 84 in 1:07-cv-03098-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert Glen Reuschling. Third-Party Defendant Motor Coach Industries, Inc.'s List of Exhibits to Its Memorandum in Support of Its Motion to Exclude Greyhound Lines, Inc.'s Expert Glen Reuschling. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Exhibit List, #2 Exhibit A, #3 Exhibit B, #4 Exhibit C, #5 Exhibit D, #6 Exhibit E, #7 Exhibit F, #8 Exhibit G, #9 Exhibit H, #10 Exhibit I, #11 Exhibit J)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 85 MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert Glen Reuschling. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Text of Proposed Order)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 84 SUPPLEMENTAL MEMORANDUM OF LAW in Support re: (78 in 1:07-cv-08364-GBD, 104 in 1:06-cv-07108-GBD, 86 in 1:08-cv-02440-GBD, 84 in 1:06-cv-07110-GBD, 81 in 1:08-cv-02439-GBD, 75 in 1:07-cv-09299-GBD, 71 in 1:08-cv-04465-GBD, 81 in 1:08-cv-03566-GBD, 82 in 1:08-cv-02438-GBD, 79 in 1:06-cv-11382-GBD, 76 in 1:07-cv-06889-GBD, 81 in 1:07-cv-03098-GBD, 226 in 1:06-cv-13371-GBD -DCF, 75 in 1:07-cv-03289-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert Mark Arndt. Third-Party Defendant Motor Coach Industries, Inc.'s Supplemental Memorandum of Law in Support of Its Motion to Exclude Greyhound Lines, Inc.'s Expert Mark Arndt. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Exhibit List)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 83 MEMORANDUM OF LAW in Support re: (104 in 1:06-cv-07108-GBD, 86 in 1:08-cv-02440-GBD, 84 in 1:06-cv-07110-GBD, 81 in 1:08-cv-03566-GBD, 82 in 1:08-cv-02438-GBD, 79 in 1:06-cv-11382-GBD, 226 in 1:06-cv-13371-GBD -DCF, 78 in 1:07-cv-08364-GBD, 81 in 1:08-cv-02439-GBD, 75 in 1:07-cv-09299-GBD, 71 in 1:08-cv-04465-GBD, 76 in 1:07-cv-06889-GBD, 81 in 1:07-cv-03098-GBD, 75 in 1:07-cv-03289-GBD) MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert Mark Arndt. Third-Party Defendant Motor Coach Industries, Inc.'s Memorandum of Law in Support of Its Motion to Exclude Greyhound Lines, Inc.'s Expert Mark Arndt. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 5, 2010 Filing 82 MOTION to Strike Third-Party Defendant Motor Coach Industries, Inc.'s Motion to Exclude Greyhound Lines, Inc.'s Expert Mark Arndt. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Text of Proposed Order)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Dorman, Melissa)
November 3, 2010 Filing 81 MEMORANDUM OF LAW in Support re: (79 in 1:08-cv-02438-GBD, 76 in 1:06-cv-11382-GBD, 73 in 1:07-cv-06889-GBD, 72 in 1:07-cv-03289-GBD, 216 in 1:06-cv-13371-GBD -DCF, 101 in 1:06-cv-07108-GBD, 78 in 1:08-cv-02439-GBD, 81 in 1:06-cv-07110-GBD, 70 in 1:07-cv-09299-GBD, 78 in 1:07-cv-03098-GBD, 75 in 1:07-cv-08364-GBD, 68 in 1:08-cv-04465-GBD, 83 in 1:08-cv-02440-GBD, 78 in 1:08-cv-03566-GBD) MOTION for Summary Judgment on the Issue of Liability.. Document filed by Cheikh Sidy Mohamed Tambadou. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Lietz, David)
November 3, 2010 Filing 80 RULE 56.1 STATEMENT. Document filed by Cheikh Sidy Mohamed Tambadou. (Attachments: #1 List of Exhibits, #2 Exhibit 1, #3 Exhibit 2, #4 Exhibit 3, #5 Exhibit 4, #6 Exhibit 5, #7 Exhibit 6, #8 Exhibit 7, #9 Exhibit 8, #10 Exhibit 9, #11 Exhibit 10, #12 Exhibit 11, #13 Exhibit 12, #14 Exhibit 13, #15 Exhibit 14, #16 Exhibit 15)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Lietz, David)
November 3, 2010 Filing 79 MOTION for Summary Judgment on the Issue of Liability. Document filed by Cheikh Sidy Mohamed Tambadou. Responses due by 11/29/2010Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Lietz, David)
November 3, 2010 Filing 78 REPLY MEMORANDUM OF LAW in Support re: (97 in 1:06-cv-07108-GBD, 79 in 1:08-cv-02440-GBD, 72 in 1:06-cv-11382-GBD, 73 in 1:08-cv-02438-GBD, 68 in 1:07-cv-03289-GBD, 77 in 1:06-cv-07110-GBD, 74 in 1:08-cv-02439-GBD, 207 in 1:06-cv-13371-GBD -DCF, 71 in 1:07-cv-08364-GBD, 74 in 1:07-cv-03098-GBD, 64 in 1:08-cv-04465-GBD, 67 in 1:07-cv-06889-GBD, 66 in 1:07-cv-09299-GBD, 74 in 1:08-cv-03566-GBD) MOTION for Sanctions.. Document filed by Kirsten Anderson, Cindylyn Lamarche, Abi-Sara Machold, Christian Yopa. (Attachments: #1 Exhibit 1)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
November 3, 2010 Filing 77 NOTICE OF CHANGE OF ADDRESS by Megan Wolfe Benett on behalf of Kirsten Anderson, Cindylyn Lamarche, Abi-Sara Machold, Christian Yopa. New Address: Kreindler & Kreindler LLP, 750 Third Avenue, New York, NY, USA 10017, (212) 687-8181. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF, 1:07-cv-06889-GBD, 1:08-cv-02438-GBD(Benett, Megan)
November 3, 2010 Filing 76 NOTICE OF CHANGE OF ADDRESS by Noah H. Kushlefsky on behalf of Kirsten Anderson, Cindylyn Lamarche, Abi-Sara Machold, Christian Yopa. New Address: Kreindler & Kreindler LLP, 750 Third Avenue, New York, NY, USA 10017, (212) 687-8181. Filed In Associated Cases: 1:06-cv-13371-GBD -DCF, 1:07-cv-06889-GBD, 1:08-cv-02438-GBD(Kushlefsky, Noah)
October 29, 2010 Filing 75 MEMORANDUM OF LAW in Opposition re: (97 in 1:06-cv-07108-GBD, 79 in 1:08-cv-02440-GBD, 77 in 1:06-cv-07110-GBD, 74 in 1:08-cv-02439-GBD, 74 in 1:08-cv-03566-GBD, 72 in 1:06-cv-11382-GBD, 73 in 1:08-cv-02438-GBD, 68 in 1:07-cv-03289-GBD, 207 in 1:06-cv-13371-GBD -DCF, 71 in 1:07-cv-08364-GBD, 74 in 1:07-cv-03098-GBD, 64 in 1:08-cv-04465-GBD, 67 in 1:07-cv-06889-GBD, 66 in 1:07-cv-09299-GBD) MOTION for Sanctions.. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit B, #3 Exhibit Exhibit C, #4 Exhibit Exhibit D, #5 Exhibit Exhibit E, #6 Exhibit Exhibit F, #7 Exhibit Exhibit G, #8 Exhibit Exhibit H, #9 Exhibit Exhibit I-1, #10 Exhibit Exhibit I-2, #11 Exhibit Exhibit I-3, #12 Exhibit Exhibit I-4, #13 Exhibit Exhibit I-5, #14 Exhibit Exhibit J)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Pollak, Kevin)
October 15, 2010 Filing 74 MEMORANDUM OF LAW in Support re: (97 in 1:06-cv-07108-GBD, 79 in 1:08-cv-02440-GBD, 77 in 1:06-cv-07110-GBD, 74 in 1:08-cv-02439-GBD, 74 in 1:08-cv-03566-GBD, 72 in 1:06-cv-11382-GBD, 73 in 1:08-cv-02438-GBD, 68 in 1:07-cv-03289-GBD, 207 in 1:06-cv-13371-GBD -DCF, 71 in 1:07-cv-08364-GBD, 74 in 1:07-cv-03098-GBD, 64 in 1:08-cv-04465-GBD, 67 in 1:07-cv-06889-GBD, 66 in 1:07-cv-09299-GBD) MOTION for Sanctions.. Document filed by Kirsten Anderson, Cindylyn Lamarche, Abi-Sara Machold, Christian Yopa. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I)Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
October 15, 2010 Filing 73 MOTION for Sanctions. Document filed by Kirsten Anderson, Cindylyn Lamarche, Abi-Sara Machold, Christian Yopa.Filed In Associated Cases: 1:06-cv-13371-GBD -DCF et al.(Kushlefsky, Noah)
October 4, 2010 Opinion or Order Filing 72 STIPULATION AND ORDER OF DISCONTINUANCE WITH PREJUDICE: IT IS HEREBY STIPULATED AND AGREED, that the Goodyear Tire & Rubber Company and So Ordered by the Court, that whereas no party hereto is an infant, incompetent person for whom a committee has been appointed or conservatee, and no person not a party has an interest in the subject matter of the action, that the above-captioned action be and is hereby discontinued with prejudice as against defendant The Goodyear Tire & Rubber Company, only, with each party to bear its own costs. (Signed by Judge George B. Daniels on 10/4/2010) Filed In Associated Cases: 1:06-cv-13371-GBD -DCF, 1:08-cv-02438-GBD(jfe)
September 27, 2010 Filing 136 MOTION for Edward A. Davis to Appear Pro Hac Vice. Document filed by Motor Coach Industries, Inc.(mro)
September 27, 2010 Filing 71 MOTION for C. Vernon Hartline, Jr. to Appear Pro Hac Vice. Document filed by Motor Coach Industries, Inc.Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(mro)
September 17, 2010 ***NOTE TO ATTORNEY THAT THE ATTEMPTED FILING OF Document No. (198 - case # 06cv13371) HAS BEEN REJECTED - (This motion spread to all 13 other member cases were also rejected). Note to Attorney Melissa Dorman: THE CLERK'S OFFICE DOES NOT ACCEPT LETTERS FOR FILING, either through ECF or otherwise, except where the judge has ordered that a particular letter be docketed. Letters may be sent directly to a judge. Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(db)
September 17, 2010 Filing 70 FILING ERROR - ELECTRONIC FILING FOR NON-ECF DOCUMENT - MOTION to Compel Motion to Compel Greyhound. Document filed by Motor Coach Industries, Inc.. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J)Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(Dorman, Melissa) Modified on 9/20/2010 (db).
September 8, 2010 Filing 69 REPLY re: (195 in 1:06-cv-13371-GBD-DCF) Sealed Document. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(Pollak, Kevin)
August 13, 2010 Opinion or Order Filing 68 ENDORSED LETTER addressed to Magistrate Judge Debra C. Freeman from Kevin Pollak dated 8/11/10 re: Request to extend time until 8/23/10 to comply with paragraph 1 of the 8/2/10 order. ENDORSEMENT: So Ordered. (Signed by Magistrate Judge Debra C. Freeman on 8/13/10) Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(cd)
August 11, 2010 Opinion or Order Filing 67 ORDER; regarding resolution of the discovery and sanctions motions submitted by the third-party defendants Goodyear Tire & Rubber Company and Greyhound Lines, Inc. as set forth in this Order; 1. Goodyear's motion to compel Greyhound to respond to Requests for Admission, is granted, to the extent as set forth in this Order; 2. As to Goodyear's renewed motion to preclude, Goodyear is directed to supplement its motion with a specific list of the documents or interrogatory responses that it has requested from Greyhound, that this Court, in its June 2, 2010 Order, directed Greyhound to produce, and that Greyhound did not produce by the deadline set by the Court; 3. To the extent Greyhound, in its cross-motion to preclude, is similarly arguing that Goodyear has failed to comply with any discovery Order of this Court, Greyhound should provide a similar list to that described in paragraph 2, above, identifying the discovery Order(s) in question and specifying the discovery that Goodyear was ordered to produce, but failed to produce in a timely manner; 4. Goodyear's motion for a protective order and to quash certain deposition notices is granted, to the extent as set forth in this Order; 5. Greyhound's cross-motion to reopen the deposition of Mr. Stroble, or to order the Rule 30(b)(6) deposition of an alternate witness on the topics as to which Mr. Stroble was designated to testify is denied, as is Greyhound's request for sanctions against Goodyear's counsel for purportedly obstructing the deposition; 6. Except as otherwise set forth herein or in any other Order of the Court, fact discovery in this action is now complete. As stated by the Court in its telephone conference with counsel on July 6, 2010, all expert discovery in this action shall be completed no later than October 4, 2010. That extended deadline will be considered final and will not be extended further without a showing of extraordinary cause. (Signed by Magistrate Judge Debra C. Freeman on 8/2/2010) Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al. Copies Mailed By Chambers. (ae)
July 30, 2010 Filing 66 RULE 26 DISCLOSURE.Document filed by Cheikh Sidy Mohamed Tambadou.Associated Cases: 1:06-cv-13371-GBD-DCF et al.(Lietz, David)
July 23, 2010 Filing 65 REPLY MEMORANDUM OF LAW in Support re: (57 in 1:08-cv-02438-GBD) MOTION to Sever.. Document filed by Kirsten Anderson, Cindylyn Lamarche, Abi-Sara Machold, Christian Yopa. Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(Kushlefsky, Noah)
July 2, 2010 Filing 64 ENDORSED LETTER addressed to Judge George B. Daniels from Kevin B. Pollak dated 7/1/10 re: counsel for Greyhound Lines, Inc. writes to advise the Court of the briefing schedule for the plaintiffs' pending motions to sever. It has been agreed that Greyhound will have until July 9, 2010 to file its papers and that the plaintiffs will have two weeks, until July 23, 2010 to reply - at which time the motions will be deemed submitted to Your Honor. (Signed by Judge George B. Daniels on 7/1/10) Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(pl)
June 29, 2010 Opinion or Order Filing 63 ORDER: Accordingly, if Greyhound wishes to introduce at trial the testimony of a liability expert on its affirmative claims against Goodyear or any other party, then Greyhound is directed to produce its expert report(s) no later than July 9, 2010. Responsive reports, if any, shall be served no later than August 13, 2010. Rebuttal reports, if any, shall be served no later than August 20, 2010. All expert discovery as to liability shall be completed no later than September 3, 2010. Except as set forth above or as otherwise permitted by this Court's January 22, 2010 Order, the deadline for the completion of discovery in this action remains July 30, 2010. Further, if Greyhound does not produce its liability expert report(s) by July 9, 2010, this Court will recommend to Judge Daniels that Greyhound be precluded from offering the testimony of any liability expert at trial. (Signed by Magistrate Judge Debra C. Freeman on 6/29/2010) Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al. Copies Mailed By Chambers.(jpo) Modified on 7/8/2010 (jpo).
June 29, 2010 Filing 62 NOTICE OF APPEARANCE by Robert Anthony Fitch on behalf of Greyhound Lines, Inc., Greyhound Lines, Inc., Greyhound Lines, Inc., Greyhound Lines Inc., Greyhound Lines, Inc., Greyhound Lines, Inc. Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(Fitch, Robert)
June 29, 2010 Filing 61 NOTICE OF APPEARANCE by Robert Anthony Fitch on behalf of Greyhound Lines, Inc., Greyhound Lines, Inc., Greyhound Lines, Inc., Greyhound Lines Inc., Greyhound Lines, Inc., Greyhound Lines, Inc. Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(Fitch, Robert)
June 29, 2010 Filing 60 NOTICE OF APPEARANCE by Robert Anthony Fitch on behalf of Greyhound Lines, Inc., Greyhound Lines, Inc., Greyhound Lines, Inc., Greyhound Lines Inc., Greyhound Lines, Inc., Greyhound Lines, Inc. Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(Fitch, Robert)
June 29, 2010 LETTER addressed to Magistrate Judge Debra C. Freeman from Kevin B. Pollak dated 6/23/2010 re: Counsel for the defendant Greyhound Lines, Inc. writes this letter in opposition to the Goodyear Tire and Rubber Company's 6/11/2010 letter motion to preclude expert reports and testimony. Goodyear's motion has no merit and should be denied. Document filed by Greyhound Lines, Inc.Associated Cases: 1:06-cv-13371-GBD-DCF et al. *Original document filed under case no. 06cv13371, document #169. ***Exhibit A attached.***(tro)
June 29, 2010 LETTER addressed to Magistrate Judge Debra C. Freeman from Alan D. Kaplan dated 6/28/2010 re: The Goodyear Tire & Rubber Company submits this letter in Reply to the opposition of Greyhound Lines, Inc., and in further support of Goodyear's Motion to Preclude the admission at trial of any expert evidence against (for which another party bears the burden of proof). Accordingly, Goodyear's motion to preclude the admission of expert disclosure against it should be granted. Document filed by The Goodyear Rubber and Tire Company.Associated Cases: 1:06-cv-13371-GBD-DCF et al. *Original document filed in case no. 06cv13371, document # 170. (tro)
June 29, 2010 LETTER addressed to Magistrate Judge Debra C. Freeman from Alan D. Kaplan dated 6/11/2010 re: Counsel for Defendant the Goodyear Tire and Rubber Company moves, pursuant to Rules 16(f)(1)(C), 16(f)(2), 26(a)(2)(C), 37(b)(2)(A), 37(b)(2)(C) and 37(c)(1) of the F.R.C.P., to preclude all parties bearing the affirmative burden of proof on a claim, cross-claim or counter-claim from submitting an expert report or presenting expert testimony against it, as to liability at trial. Document filed by The Goodyear Rubber and Tire Company.Associated Cases: 1:06-cv-13371-GBD-DCF et al. *Original filed in case no. 06cv13371, document #168. ***Exhibits A-E attached.***(tro)
June 15, 2010 Opinion or Order Filing 59 ENDORSED LETTER addressed to Judge George B. Daniels from Alan D. Kaplan dated 6/10/2010 re: Requesting an adjournment of the conference currently scheduled for June 24, 2010, until June 30, 2010 at 10 am. ENDORSEMENT: So Ordered. (Signed by Judge George B. Daniels on 6/14/2010) Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(jpo)
June 14, 2010 Filing 58 MEMORANDUM OF LAW in Support re: (163 in 1:06-cv-13371-GBD-DCF, 57 in 1:08-cv-02438-GBD, 50 in 1:07-cv-06889-GBD) MOTION to Sever.. Document filed by Christian Yopa, Abi-Sara Machold, Cindylyn Lamarche, Kirsten Anderson. (Attachments: #1 Exhibit 1, #2 Exhibit 2, #3 Exhibit 3)Filed In Associated Cases: 1:06-cv-13371-GBD-DCF, 1:07-cv-06889-GBD, 1:08-cv-02438-GBD(Benett, Megan)
June 14, 2010 Filing 57 MOTION to Sever. Document filed by Christian Yopa, Abi-Sara Machold, Cindylyn Lamarche, Kirsten Anderson.Filed In Associated Cases: 1:06-cv-13371-GBD-DCF, 1:07-cv-06889-GBD, 1:08-cv-02438-GBD(Benett, Megan)
June 10, 2010 ***NOTE TO ATTORNEY TO RE-FILE DOCUMENT - DEFICIENT DOCKET ENTRY ERROR. Note to Attorney Noah H. Kushlefsky to RE-FILE Document #56 MOTION to Sever Third Party Claims, Crossclaims and Counterclaims. ERROR(S): Supporting Documents are filed separately, each getting there own Document #. (db)
June 10, 2010 Filing 56 FILING ERROR - DEFICIENT DOCKET ENTRY - MOTION to Sever Third Party Claims, Crossclaims and Counterclaims. Document filed by Cindylyn Lamarche. Return Date set for 6/30/2010 at 10:00 AM. (Attachments: #1 Memorandum of Law, #2 Exhibit Exhibit 1 to Memo of Law, #3 Exhibit Exhibit 2 to Memo of Law, #4 Exhibit Exhibit 3 to Memo of Law)(Kushlefsky, Noah) Modified on 6/11/2010 (db).
April 12, 2010 Filing 55 RESPONSE / The Goodyear Tire and Rubber Company's Response to Greyhound Lines, Inc.'s Objections to the Hon Magistrate Freeman's March 17, 2010 Order and Cross Motion for Sanctions. Document filed by The Goodyear Rubber and Tire Company, The Goodyear Tire & Rubber Company. (Attachments: #1 Certificate of Service)Filed In Associated Cases: 1:06-cv-13371-GBD-DCF et al.(Kaplan, Alan)
March 26, 2010 Filing 54 NOTICE OF CASE REASSIGNMENT to Judge George B. Daniels. Judge Peter K. Leisure is no longer assigned to the case. (ldi) (ldi).
February 22, 2010 Filing 53 MOTION for Charles A. Green to Appear Pro Hac Vice. Document filed by Greyhound Lines, Inc.Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(mro)
February 22, 2010 Filing 52 MOTION to Compel the defendant/third-party defendant, The Goodyear Tire & Rubber Company and third-party defendant Unicco, to provide deposition testimony, document discovery and supplemental discovery responses. (Motion is in letter form addressed to Magistrate Judge Debra Freeman from counsel for the defendant/third-party plaintiff, Greyhound Lines, Inc., dated 1/29/10) Document filed by Greyhound Lines, Inc.Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(mro)
February 22, 2010 Filing 51 GOODYEAR'S OPPOSITION TO GREYHOUND'S MOTION TO COMPEL (REDACTED) (In letter form from the attorneys representing the Goodyear Tire and Rubber Company to the Honorable Magistrate Judge Debra Freeman dated 2/2/10). Document filed by The Goodyear Rubber and Tire Company.Associated Cases: 1:06-cv-13371-PKL-DCF et al.(mro)
February 22, 2010 Opinion or Order Filing 50 ORDER FOR ADMISSION PRO HAC VICE ON WRITTEN MOTION: that Charles A. Green is admitted to practice prohac vice in the United States District Court for the Southern District of New York ascounsel for Greyhound Lines, Inc., in Kirsten Anderson v. Greyhound Lines, Inc., et. al.(06-Civ-13371) and the fifteen (15) related matters further set forth in this Order (Signed by Judge Peter K. Leisure on 2/22/2010) Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(tve)
February 17, 2010 Filing 49 ANSWER to Crossclaim. Document filed by UGL UNICCO.(Rosenbaum, Dara)
February 16, 2010 Opinion or Order Filing 48 ORDER: It is hereby ORDERED that: 1. Unless the parties stipulate otherwise, Goodyear shall produce in this case, within 14 days of the date of this Order, and regardless of whether materials have previously been produced in the "Alabama action," the following: a. all documents responsive to Greyhound's document requests concerning: i. the design of the steel belts of the Goodyear G409 tire at issue; the so-called "Revision C3" changes to that design; the reasons those changes were made; and testing of tire strength relative to those design changes; ii. the load capacity of the tire at issue; and iii. Goodyear's tire maintenance obligations and procedures for Greyhound buses; b. the deposition transcripts or portions of transcripts identified in the January 27, 2010 e-mail from Kevin Pollack, Esq., to Alan Kaplan, Esq., attached as Exhibit H to Greyhound's motion to compel; and c. all previous statements of any current Greyhound officers, directors, or employees regarding this action or its subject matter. 2. Absent further Order of the Court, any documents or portions of deposition transcripts designated by Goodyear as "Confidential" shall be treated as falling under the Protective Order for the Production and Exchange of Confidential Information, issued by this Court on June 5, 2009 (Dkt. 50). 3. The parties are directed to confer promptly and in good faith regarding a reasonable number of depositions to be conducted before the scheduled settlement conference, and regarding the dates of those depositions. 4. To the extent the parties contend that any papers submitted in connection with Greyhound's motion to compel contain confidential information and should thus be filed under seal pursuant to the Protective Order in this case, the parties are directed to submit versions of their submissions that redact the confidential information. 5. To the extent Greyhound's motion to compel was also directed to third-party defendant UNICCO Service Company, it is the Court's understanding that the motion is moot and does not require Court action. (Signed by Magistrate Judge Debra C. Freeman on 2/16/2010) Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(tro)
January 22, 2010 Opinion or Order Filing 47 ORDER: It is hereby ordered that all Defendants and Third-Party Defendants are directed to appear, in person, for a settlement conference before the Court on March 23, 2010, at 10:00 a.m., in Courtroom 17A, of the United States Courthouse, 500 Pearl Street, New York, New York. Prior to the March 23rd settlement conference, Defendants and Third-Party Defendants are expected to complete the particular discovery that, in their respective views, would be most important to them in informing their views as to the appropriate apportionment of potential liability, as set forth in this order. All remaining discovery in this case - including both fact and expert discovery shall be completed no later than July 30, 2010. The Court fully expects, however, that all- or at least the vast bulk of- depositions will be completed prior to July 30th, and that any remaining depositions will be few in number and scheduled belatedly for good and explainable reasons. (Signed by Magistrate Judge Debra C. Freeman on 1/22/2010) Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al. Copies Mailed By Chambers.(jpo)
January 11, 2010 Filing 46 STATUS REPORT. Letter to Court Document filed by Kirsten Anderson.Associated Cases: 1:06-cv-13371-PKL-DCF et al.(Kushlefsky, Noah)
December 22, 2009 Filing 45 ANSWER to Complaint., CROSSCLAIM against UGL UNICCO. Document filed by Motor Coach Industries, Inc..(Dorman, Melissa)
December 11, 2009 Opinion or Order Filing 44 ENDORSED LETTER addressed to Magistrate Judge Debra Freeman from Kevin B. Pollak dated 12/11/2009 re: Counsel writes in regards to their application. No party has opposed Greyhound's application, Greyhound would respectfully request that the Court grant the application. ENDORSEMENT: The requested extension to 12/16/09 to serve remaining discovery responses is granted. So Ordered. (Signed by Magistrate Judge Debra C. Freeman on 12/11/2009) Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(jfe)
May 27, 2009 Opinion or Order Filing 43 ORDER: Upon request to withdraw as counsel of record, pursuant to Local Rule 1.4 of the United States District Court for the Southern District of New York, this Court hereby ORDERS that (i) Howard C. Crystal, Esq. of Novack Burnbaum Crystal LLP and (ii) Mark Enright and Richard C. Gering of Arnstein & Lehr LLP be withdrawn as counsel of record for third-party defendant Motor Coach Industries, Inc. in the above-entitled action. (Signed by Judge Peter K. Leisure on 5/27/2009) Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(jfe)
May 22, 2009 Filing 42 REQUEST for Production of Documents.Document filed by Motor Coach Industries, Inc..Associated Cases: 1:06-cv-13371-PKL-DCF et al.(Rath, Gerard)
May 22, 2009 Filing 41 FIRST SET OF INTERROGATORIES to Survivor Plaintiffs.Document filed by Motor Coach Industries, Inc..Associated Cases: 1:06-cv-13371-PKL-DCF et al.(Rath, Gerard)
May 15, 2009 Filing 40 NOTICE OF APPEARANCE by Timothy R. Capowski on behalf of Motor Coach Industries, Inc. Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(Capowski, Timothy)
May 12, 2009 Filing 39 NOTICE OF APPEARANCE by Gerard Stephen Rath on behalf of Motor Coach Industries, Inc. Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(Rath, Gerard)
February 27, 2009 Opinion or Order Filing 38 ENDORSED LETTER addressed to Magistrate Judge Debra C. Freeman from Noah H. Kushlefsky dated 2/24/2009 re: Plaintiffs request a scheduling conference to chart out the cause of discovery in these consolidated cases. ENDORSEMENT: The parties are directed to submit a joint proposed modified scheduling order. So Ordered. (Signed by Magistrate Judge Debra C. Freeman on 2/26/2009) Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(jfe)
December 22, 2008 Opinion or Order Filing 37 ENDORSED LETTER addressed to Magistrate Judge Debra C. Freeman from Noah H. Kushlefsky dated 12/17/2008 re: Counsel request that the Court vacate the November 5, 2008 order and permit discovery to begin. Alternatively, counsel request that the Court permit document discovery, which can in no way prejudice Greyhound's ability to defend itself. ENDORSEMENT: The Court having reviewed this letter as well as the letters of Greyhound (dated 12/18/08), Goodyear (dated 12/19/08), and the Tambadore plaintiff's (dated 12/19/08), The Court declines to vacate the 120-day stay at this time. Greyhound is cautioned, however, that if its application in the Bankruptcy Court is not resolved by that Court within the 120-day period, this Court will consider any dilatory conduct by Greyhound as a factor relevant to the Court's analysis of whether the stay should be continued beyond that period. So Ordered. (Signed by Magistrate Judge Debra C. Freeman on 12/22/2008) Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(jfe)
October 8, 2008 Filing 36 NOTICE OF APPEARANCE by David Kevin Lietz on behalf of Cheikh Sidy Mohamed Tambadou Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(Lietz, David)
October 1, 2008 Filing 35 NOTICE OF APPEARANCE by Noah H. Kushlefsky on behalf of Cindylyn Lamarche (Kushlefsky, Noah)
September 25, 2008 Filing 34 NOTICE of Bankruptcy. Document filed by Motor Coach Industries, Inc.. Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(Crystal, Howard)
September 11, 2008 Filing 33 ACKNOWLEDGMENT OF SERVICE. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.., CERTIFICATE OF SERVICE. Document filed by Greyhound Lines, Inc., Greyhound Lines, Inc.. Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(Pollak, Kevin)
September 11, 2008 Opinion or Order Filing 32 ENDORSED LETTER addressed to Magistrate Judge Debra Freeman from Kevin B. Pollack dated 8/18/2008 re: Counsel writes in response to Goodyear's counsel's August 15, 2008 letter. For the reasons set forth below, as well as those set forth in Greyhound's July 22, 2008 letter to Judge Leisure and those mentioned during the August 7, 2008 conference, third-party administrators and insurers should be permitted to receive confidential information. ENDORSEMENT: Defendant Greyhound Lines, Inc. (and any other party that wishes to do the same) may designate a representative of each insurer, or third-party administrator of a self-insured retention, as a person who may be furnished "Confidential Information" in this case, subject to the terms of a Protective Order. The parties are directed to submit a joint-proposed Protective Order to the Court for its review no later than September 26, 2008. So Ordered (Signed by Magistrate Judge Debra C. Freeman on 9/11/2008) Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al.(jfe)
September 9, 2008 Filing 31 RULE 26 DISCLOSURE.Document filed by Motor Coach Industries, Inc..Associated Cases: 1:06-cv-13371-PKL-DCF et al.(Crystal, Howard)
August 8, 2008 Opinion or Order Filing 30 ORDER: It is hereby ordered that with respect to the dispute among defendant's regarding the scope of an appropriate Confidentiality Order in this case, no later than August 15, 2008, defendant The Goodyear Rubber and Tire Company shall submit to the Court a memorandum of law (which may be in the form of a letter brief) setting out authority for its position that any confidential materials produced by defendants or third-party defendants should not be disclosed to the insurance carriers or insurance plan administrators of co-defendants. With respect to all other issues concerning the terms of an appropriate Confidentiality Order, the parties are directed to confer in good faith, and to raise additional issues with the Court only if they are unable to reach an agreement after their good faith conference. No later than September 8, 2008, all parties shall serve initial disclosures pursuant to Fed. R. Civ. P. 26(a)(l), to the extent they have not already done so. No later than September 30, 2008, all parties shall serve their first sets of document requests and interrogatories, which may exceed the scope permitted by Local Civil Rule 33.3(a). Plaintiffs are encouraged to serve joint document requests and interrogatories. For any parties interested in an early inspection of the bus involved in the accident that is the subject of this litigation, defendant Greyhound Lines, Inc., shall make the bus available for inspection in September and/or October 2008, on a date or dates to be agreed by all interested parties. All counsel shall appear before the Court for a case management conference on November 19, 2008, at 10:00 a.m., in Courtroom 17A, at the U.S. Courthouse, 500 Pearl Street, New York, New York. Counsel located outside the tri-state area may appear by telephone, with advance notice to my chambers. At the November 19,2008 conference, counsel are directed to be prepared to discuss the status of discovery, the time frame in which fact discovery, including depositions,can likely be completed, and the potential for the settlement of these actions. (Signed by Magistrate Judge Debra C. Freeman on 8/8/2008) Filed In Associated Cases: 1:06-cv-13371-PKL-DCF et al. Copies via ECF.(jfe) Modified on 10/15/2008 (jfe).
August 8, 2008 Set Deadlines/Hearings: Case Management Conference set for 11/19/2008 at 10:00 AM in Courtroom 17A, 500 Pearl Street, New York, NY 10007 before Magistrate Judge Debra C. Freeman. Associated Cases: 1:06-cv-13371-PKL-DCF et al.(jfe)
July 9, 2008 Opinion or Order Filing 29 ORDER: Greyhound's request is denied. In accordance with Goodyear's stated conditions as custodian of the tires, the Court hereby ORDERS Greyhound to disclose the identities of the individuals who will attend an inspection of the tires on Greyhound's behalf. Thereafter, Goodyear shall make a good faith effort to schedule and confirm Greyhound's requested inspection. (Signed by Judge Peter K. Leisure on 7/9/08) Filed In Associated Cases: 1:06-cv-13371-PKL-JCF et al.(tro)
July 1, 2008 Filing 28 RESPONSE re: #23 Answer to Third Party Complaint, Crossclaim to Cross-Claim of Motor Coach Industries, Inc.. Document filed by Greyhound Lines Inc.. (Pollak, Kevin)
June 26, 2008 Opinion or Order Filing 27 ENDORSED LETTER addressed to Judge Peter K. Leisure from Howard C. Crystal dated 6/17/08 re: Counsel for Third Party Defendant Motor Coach Industries, Inc. request that Your Honor waive the requirement that counsel move separately for the admission of Messrs. Enright and Gering in each of the Lamarche, Cadelis, Clavien, Bah, and Bickford-Bushey matters. If Your Honor approves this request, counsel asks that Your Honor endorse such order on this letter. ENDORSEMENT: The requirement to move separately for the admission of Mark Enright, Esq. and Richard Gering, Esq. in each of the Lamarche, Cadelis, Clavien, Bah, and Bickford-Bushey actions is hereby waived in light of their admission pro hac vice in Anderson v. Greyhound, 06 Civ. 13371. Attorney Mark E. Enright for Motor Coach Industries, Inc., Richard C. Gering for Motor Coach Industries, Inc. added. (Signed by Judge Peter K. Leisure on 6/26/08) Filed In Associated Cases: 1:06-cv-13371-PKL-JCF et al.(tro)
June 26, 2008 Opinion or Order Filing 26 ORDER: that the above captioned consolidated matters (06cv7108, 06cv7110, 06cv11382, 06cv13371, 07cv3098, 07cv3289, 07cv6889, 07cv8364, 07cv9299, 08cv2438, 08cv2439, 08cv2440) and the below referenced matters (08cv3566, 08cv4465) are hereby consolidated pursuant F.R.C.P. Rule 42(a) for all purposes. (Signed by Judge Peter K. Leisure on 6/26/08) (tro)
June 24, 2008 Filing 25 STIPULATION: the attorneys of record for Third Party Defendant UNICCO Service Company and for Third Party Defendant MCI, Inc. agree that the time for MCI to answer or otherwise respond to the Cross-Claim in this action is hereby extended to and including 7/18/08. (Signed by Judge Peter K. Leisure on 6/24/08) (tro)
June 24, 2008 Filing 24 STIPULATION: the attorneys of record for The Good year Tire & Rubber Company and for Third Party Defendant MCI, Inc. agree that the time for MCI to answer or otherwise respond to the Cross-Claim in this action is hereby extended to and including 7/18/08. Motor Coach Industries, Inc. answer due 7/18/2008. (Signed by Judge Peter K. Leisure on 6/24/08) (tro)
June 13, 2008 Filing 23 ANSWER to Third Party Complaint with JURY DEMAND., CROSSCLAIM against Motor Coach Industries, Inc.. Document filed by Motor Coach Industries, Inc..(Crystal, Howard)
June 13, 2008 Filing 22 RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying Motor Coach Industries International, Inc. as Corporate Parent. Document filed by Motor Coach Industries, Inc..(Crystal, Howard)
May 21, 2008 Filing 21 ANSWER to Crossclaim. Document filed by UGL UNICCO.(Rosenbaum, Dara)
May 16, 2008 Filing 20 ANSWER to Complaint. Document filed by The Goodyear Tire & Rubber Company.(Kaplan, Alan)
May 16, 2008 Filing 19 AFFIDAVIT OF SERVICE of Goodyear's Answer to Cross-Claims of UGL UNICCO served on Edward P. Ryan, Esq. of Law Offices of Edward P. Ryan; Kevin B. Pollak, Esq. of Fabiani Cohen & Hall, LLP; Novack Burnbaum Crystal LLP; Kreindler & Kreindler LLP; Taub & Marder, Esqs.; Lisa Marie Robinson; Rubenstein & Rynecki; Norman Liss Attorneys-At-Law, P.C.; David K. Lietz (admitted pro hac vice) of The Lietz Law Firm PLLC; Valad and Vecchione, PLLC; Rich & Rich, PC; Goldberg. Segalla LLP; and Quirk and Bakalor, P.C. on May 16, 2008. Service was made by U.S. First Class Mail. Document filed by The Goodyear Rubber and Tire Company. Filed In Associated Cases: 1:06-cv-13371-PKL-JCF, 1:08-cv-02438-PKL(Kaplan, Alan)
May 13, 2008 Filing 18 ANSWER to Counterclaim. Document filed by Greyhound Lines Inc..(Pollak, Kevin)
May 12, 2008 Filing 17 ANSWER to Third Party Complaint. Document filed by UGL UNICCO.(Rosenbaum, Dara)
May 12, 2008 Filing 16 RULE 7.1 CORPORATE DISCLOSURE STATEMENT. Identifying United Group Limited, United Group Services Pty Ltd., United Group Investment Partnership and United Group USA Inc. as Corporate Parent. Document filed by UGL UNICCO.(Rosenbaum, Dara)
May 12, 2008 Filing 15 AFFIDAVIT OF SERVICE of Goodyear's Answer to Greyhound's Third-Party Complaint on 5/9/08. Service was made by Mail. Document filed by The Goodyear Tire & Rubber Company. (Kaplan, Alan)
May 9, 2008 Filing 14 ANSWER to Third Party Complaint with JURY DEMAND., CROSSCLAIM against Motor Coach Industries, Inc., UGL UNICCO., COUNTERCLAIM against Greyhound Lines Inc.. Document filed by The Goodyear Tire & Rubber Company.(Kaplan, Alan)
May 5, 2008 Filing 13 AFFIDAVIT OF SERVICE of Summons and Third Party Complaint. The Goodyear Tire & Rubber Company served on 4/29/2008, answer due 5/19/2008. Service was accepted by Brenda Cozy, Executive Secretary. Document filed by Greyhound Lines Inc.. (Pollak, Kevin)
May 2, 2008 Filing 12 STIPULATION: It is hereby stipulated and agreed by and between the undersigned, that the time for MCI to answer or otherwise respond to the Third Party Complaint in this action is hereby extended to and including June 13, 2008 (Signed by Judge Peter K. Leisure on 5/1/08) (js)
April 30, 2008 Filing 11 AFFIDAVIT OF SERVICE of Summons and Third Party Complaint. UGL UNICCO served on 4/30/2008, answer due 5/20/2008. Service was accepted by Scott P. Taylor, Esq. Document filed by Greyhound Lines Inc.. (Pollak, Kevin)
April 30, 2008 Filing 10 AFFIDAVIT OF SERVICE of Summons and Third Party Complaint. Motor Coach Industries, Inc. served on 4/29/2008, answer due 5/19/2008. Service was accepted by Howard C. Crystal, Esq. Document filed by Greyhound Lines Inc.. (Pollak, Kevin)
April 23, 2008 Filing 9 THIRD PARTY COMPLAINT against Motor Coach Industries, Inc., UGL UNICCO, The Goodyear Tire & Rubber Company.Document filed by Greyhound Lines Inc.(dle)
April 10, 2008 Filing 8 AMENDED ANSWER to with JURY DEMAND. Document filed by Motor Coach Industries, Inc.. Filed In Associated Cases: 1:06-cv-13371-PKL-JCF et al.(Crystal, Howard)
April 10, 2008 Filing 7 AFFIDAVIT OF SERVICE of Summons and Third Party Complaint. UGL UNICCO served on 4/7/2008, answer due 4/28/2008. Service was accepted by Vanessa A. Eustace, Associate General Counsel. Document filed by Greyhound Lines, Inc.. Filed In Associated Cases: 1:06-cv-13371-PKL-JCF et al.(Pollak, Kevin)
April 3, 2008 Opinion or Order Filing 5 ENDORSED LETTER addressed to Judge Peter K. Leisure from Kevin B. Pollack dated 4/3/08 re: Confirmation that the Court has extended Greyhound's time to implead parties in the 08cv2440, 08cv2439 and 08cv2438 actions up to and including 5/2/08. ENDORSEMENT: SO ORDERED. (Signed by Judge Peter K. Leisure on 4/3/08) (db)
April 3, 2008 Opinion or Order Filing 4 STIPULATION AND ORDER that the consolidated matters and the 08-2438, 08-2439, and 08-2440 are hereby consolidated pursuant to FRCP 42(a) for all purposes. (Signed by Judge Peter K. Leisure on 4/3/08) (cd)
April 3, 2008 Filing 3 STIPULATION OF DISCONTINUANCE, the action is discontinued without prejudice as against defendant Laidlaw Intl, Inc., only (Signed by Judge Peter K. Leisure on 4/3/08) (cd)
April 3, 2008 CONSOLIDATED MEMBER CASE: Create association to 1:06-cv-13371-PKL-JCF.. (cd)
April 2, 2008 Filing 6 NOTICE OF CASE ASSIGNMENT to Judge Peter K. Leisure. (rdz)
April 2, 2008 Magistrate Judge Debra Freeman is so designated. (rdz)
April 2, 2008 CASE ACCEPTED AS RELATED. Create association to 1:06-cv-13371-PKL-JCF. Notice of Assignment to follow. (rdz)
March 28, 2008 Filing 2 NOTICE OF APPEARANCE by Megan Wolfe Benett on behalf of Cindylyn Lamarche (Benett, Megan)
March 21, 2008 Mailed notice with Rules 2 & 3 and ECF Registration Package to the attorney(s) of record. (rdz)
March 11, 2008 Filing 1 CASE TRANSFERRED IN from the United States District Court - Northern District of New York; Case Number: 07-cv-861. Original file with documents numbered 1-10, certified copy of transfer order and docket entries received.Document filed by Greyhound Lines Inc., Laidlaw International, Inc..(rdz) (Additional attachment(s) added on 3/27/2008: #1 Main Document, #2 Supplement, #3 Supplement, #4 Supplement, #5 Supplement, #6 Supplement, #7 Supplement, #8 Supplement, #9 Supplement, #10 Supplement, #11 Supplement) (rdz).
March 11, 2008 CASE REFERRED TO Judge Peter K. Leisure as possibly Related to 06-cv-13371. (rdz)
March 11, 2008 Mailed letter to the United States District Court - Northern District of New York acknowledging receipt of their entire file, a certified copy of the transfer order and docket entries. (rdz)
March 11, 2008 Case Designated ECF. (rdz)

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Search for this case: Lamarche v. Greyhound Lines Inc. et al
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Plaintiff: Cindylyn Lamarche
Represented By: Megan Wolfe Benett
Represented By: Noah H. Kushlefsky
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Defendant: Greyhound Lines Inc.
Represented By: Charles A. Green
Represented By: Kevin Bennett Pollak
Represented By: Robert Anthony Fitch
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Defendant: Laidlaw International, Inc.
Represented By: Kevin Bennett Pollak
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Defendant: UGL UNICCO
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3rd party defendant: Motor Coach Industries, Inc.
Represented By: C. Vernon Hartline, Jr.
Represented By: Edward A. Davis
Represented By: Gerard Stephen Rath
Represented By: Howard Charles Crystal
Represented By: Mark E. Enright
Represented By: Melissa A. Dorman
Represented By: Richard C. Gering
Represented By: Timothy R. Capowski
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3rd party defendant: The Goodyear Tire & Rubber Company
Represented By: Alan David Kaplan
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