The Roberto Gonzalez Law Firm, LLP v. Global Litigation Consulting Services, LLC et al
The Roberto Gonzalez Law Firm, LLP d/b/a Whistleblowers International and The Roberto Gonzalez Law Firm, LLP a District of Columbia limited liability partnership doing business as Whistleblowers International |
Christopher Piacentile and Global Litigation Consulting Services, LLC |
1:2021cv01180 |
February 9, 2021 |
US District Court for the Southern District of New York |
John P Cronan |
Contract: Other |
28 U.S.C. § 1441 ds |
Plaintiff |
Docket Report
This docket was last retrieved on May 4, 2021. A more recent docket listing may be available from PACER.
Document Text |
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Filing 10 NOTICE OF APPEARANCE by David S. Stone on behalf of The Roberto Gonzalez Law Firm, LLP..(Stone, David) |
Filing 9 ORDER denying #8 Letter Motion for Conference re: #8 LETTER MOTION for Conference re: #1 Notice of Removal, #4 Amended Notice of Removal, regarding Anticipated Motion to Dismiss for Lack of Personal Jurisdiction, or in the alternative, Motion to Transfer Venue addressed to Judge John P.. The Court finds that no pre-motion conference is necessary. Defendants' motion to dismiss the Complaint for lack of personal jurisdiction, or in the alternative, to transfer venue, is due by by April 12, 2021. Plaintiff's opposition is due by April 26, 2021. Defendants' reply is due May 3, 2021. SO ORDERED. (Signed by Judge John P. Cronan on 3/29/2021) (kv) |
Set/Reset Deadlines: Motions due by 4/12/2021. Responses due by 4/26/2021 Replies due by 5/3/2021. (kv) |
Filing 8 LETTER MOTION for Conference re: #1 Notice of Removal, #4 Amended Notice of Removal, regarding Anticipated Motion to Dismiss for Lack of Personal Jurisdiction, or in the alternative, Motion to Transfer Venue addressed to Judge John P. Cronan from Victor M. Rivera Rios dated March 23, 2021. Document filed by Global Litigation Consulting Services, LLC, Christopher Piacentile..(Rivera-Rios, Victor) |
Filing 7 ORDER granting #6 LETTER MOTION for Extension of Time to File Answer re: #1 Notice of Removal, #4 Amended Notice of Removal, addressed to Judge John P. Cronan from Victor M. Rivera Rios dated February 19, 2021. Document filed by Global Litigation C onsulting Services, LLC, Christopher Piacentile. Defendants' request is granted. Defendants shall respond to the Complaint by no later than March 23, 2021. So ordered. Global Litigation Consulting Services, LLC answer due 3/23/2021; Christopher Piacentile answer due 3/23/2021. (Signed by Judge John P. Cronan on 2/19/2021) (rjm) |
Filing 6 LETTER MOTION for Extension of Time to File Answer re: #1 Notice of Removal, #4 Amended Notice of Removal, addressed to Judge John P. Cronan from Victor M. Rivera Rios dated February 19, 2021. Document filed by Global Litigation Consulting Services, LLC, Christopher Piacentile..(Rivera-Rios, Victor) |
Filing 5 NOTICE OF ASSIGNMENT: This case has been assigned to the undersigned for all purposes. All counsel must familiarize themselves with the Court's Individual Rules, which are available at https://www.nysd.uscourts.gov/hon-john-p-cronan. Counsel for all parties are hereby ORDERED to appear before the undersigned for an Initial Pretrial Conference ("IPTC") in accordance with Rule 16 of the Federal Rules of Civil Procedure on April 21, 2021 at 11:00 a.m. Unless the Court orders otherwise, the Court will conduct the IPTC by teleconference. At the scheduled time, counsel for all parties should call (866) 434-5269, access code 9176261. Absent leave of Court obtained by letter-motion filed before the conference, all pretrial conferences must be attended by the attorney who will serve as principal trial counsel, and as further set forth in this Order. So ordered. (Initial Conference set for 4/21/2021 at 11:00 AM before Judge John P. Cronan). (Signed by Judge John P. Cronan on 2/18/2021) (rjm) |
Filing 4 AMENDED NOTICE OF REMOVAL against The Roberto Gonzalez Law Firm, LLP; amending #1 Notice of Removal,.Document filed by Christopher Piacentile, Global Litigation Consulting Services, LLC. Related document: #1 Notice of Removal,. (Attachments: #1 Exhibit A, #2 Exhibit B).(Rivera-Rios, Victor) |
Filing 3 ORDER: It is ORDERED that by February 19, 2021 Defendants shall amend their Notice of Removal to allege the citizenship of each of Plaintiff's general and limited partners. If Defendants fail to amend the Notice of Removal by that date, or otherwise properly establish this Court's jurisdiction pursuant to 28 U.S.C. 1332(a)(2), the Court will remand this action sua sponte without further notice. SO ORDERED. (Amended Pleadings due by 2/19/2021). (Signed by Judge John P. Cronan on 2/11/2021) (rjm) |
***NOTICE TO ATTORNEY REGARDING CIVIL CASE OPENING STATISTICAL ERROR CORRECTION: Notice to attorney Victor M Rivera-Rios. The following case opening statistical information was erroneously selected/entered: Dollar Demand $100,000,000; County code Bronx;. The following correction(s) have been made to your case entry: the Dollar Demand has been modified to $100,000; the County code has been modified to XX Out of State;. (jgo) |
***NOTICE TO ATTORNEY REGARDING PARTY MODIFICATION. Notice to attorney Victor M Rivera-Rios. The party information for the following party/parties has been modified: The Roberto Gonzalez Law Firm, LLP d/b/a Whistleblowers InternationalGlobal Litigation Consulting Services, LLC; Christopher Piacentile. The information for the party/parties has been modified for the following reason/reasons: party text was omitted; party name was modified to add alias separately. (jgo) |
CASE OPENING INITIAL ASSIGNMENT NOTICE: The above-entitled action is assigned to Judge John P. Cronan. Please download and review the Individual Practices of the assigned District Judge, located at #https://nysd.uscourts.gov/judges/district-judges. Attorneys are responsible for providing courtesy copies to judges where their Individual Practices require such. Please download and review the ECF Rules and Instructions, located at #https://nysd.uscourts.gov/rules/ecf-related-instructions..(jgo) |
Case Designated ECF. (jgo) |
Magistrate Judge Gabriel W. Gorenstein is so designated. Pursuant to 28 U.S.C. Section 636(c) and Fed. R. Civ. P. 73(b)(1) parties are notified that they may consent to proceed before a United States Magistrate Judge. Parties who wish to consent may access the necessary form at the following link: #https://nysd.uscourts.gov/sites/default/files/2018-06/AO-3.pdf. (jgo) |
Filing 2 CIVIL COVER SHEET filed..(Rivera-Rios, Victor) |
Filing 1 NOTICE OF REMOVAL from Supreme Court, County of Bronx. Case Number: 33203/2020E. (Filing Fee $ 402.00, Receipt Number BNYSDC-23879618).Document filed by Christopher Piacentile, Global Litigation Consulting Services, LLC. (Attachments: #1 Exhibit Exhibit A, #2 Exhibit Exhibit B).(Rivera-Rios, Victor) |
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Defendant: Christopher Piacentile | |
Represented By: | Victor M Rivera-Rios |
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Defendant: Global Litigation Consulting Services, LLC | |
Represented By: | Victor M Rivera-Rios |
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Plaintiff: The Roberto Gonzalez Law Firm, LLP d/b/a Whistleblowers International | |
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Plaintiff: The Roberto Gonzalez Law Firm, LLP a District of Columbia limited liability partnership doing business as Whistleblowers International | |
Represented By: | David S. Stone |
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