Calabro v. Speedway LLC
Michelle Calabro |
Speedway LLC |
6:2023cv06252 |
May 9, 2023 |
US District Court for the Western District of New York |
Frank P Geraci |
Mark W Pedersen |
P.I.: Other |
28 U.S.C. ยง 1441 Petition for Removal- Personal Injury |
Both |
Docket Report
This docket was last retrieved on June 28, 2023. A more recent docket listing may be available from PACER.
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Filing 9 SCHEDULING/CASE MANAGEMENT ORDER (Please Note: This docket text may not contain the entire contents of the attached Order. It is your responsibility to read the attached Order and download it for future reference. Direct any questions to the Chambers of the Judge who entered this Order.) Mandatory Disclosures due by 6/30/2023. Stipulation of Selection of Mediator due by 8/4/2023. Motions to Join Parties/Amend Pleadings due by 9/30/2023. First Mediation Session due by 10/31/2023. Motions to Compel Discovery due by 12/29/2023. Discovery completed by 1/31/2024. Plaintiff Expert Witness ID due by 4/1/2024. Defendant Expert Witness ID due by 5/31/2024. Dispositive Motions due by 10/14/2024.. Signed by Hon. Mark W. Pedersen on 6/27/2023. (JB) |
Filing 8 Minute Entry for proceedings held before Hon. Mark W. Pedersen: Scheduling Teleconference held on 6/26/2023. Appearances: Christopher G. Johnson, Esq.; Brittany L. Hannah, Esq.. Parties agree to a proposed schedule, Scheduling Order to be issued. (Court Reporter FTR Gold.) (JB) |
CALENDAR EVENT: Scheduling Conference reset for 6/26/2023 at 1:00 PM before Hon. Mark W. Pedersen. A joint proposed discovery plan is due to be filed at least 4 business days prior to the conference. The proceeding will take place by telephone. Using a landline telephone, Counsel is directed to call 877-402-9753, and enter access code 7137484 at the scheduled date and time. (JB) |
Filing 6 ORDER: Scheduling Conference set for 6/28/2023 at 10:15 AM before Hon. Mark W. Pedersen. A joint proposed discovery plan is due to be filed at least 4 business days prior to the conference. The proceeding will take place by telephone. Using a landline telephone, Counsel is directed to call 877-402-9753, and enter access code 7137484 at the scheduled date and time. Signed by Hon. Mark W. Pedersen on 5/15/2023. (JB) |
Filing 5 TEXT ORDER REFERRING CASE to Hon. Mark W. Pedersen, United States Magistrate Judge, for all pretrial matters excluding dispositive motions. The parties are encouraged to consider consenting to Magistrate Judge jurisdiction pursuant to 28 U.S.C. 636(c). Consent forms are available from the chambers of the Magistrate Judge or the office of the Clerk of Court. The parties may give consent to a Magistrate Judge to conduct all proceedings and enter a final order dispositive of each motion; or such consent may be given for a limited purpose such as the disposition of a particular motion that would otherwise be before the District Judge in the absence of such consent. SO ORDERED. Signed by Hon. Frank P. Geraci, Jr. on 5/12/2023. (MFM) |
Notice of Availability of Magistrate Judge: A United States Magistrate of this Court is available to conduct all proceedings in this civil action in accordance with 28 U.S.C. 636c and FRCP 73. The Notice, Consent, and Reference of a Civil Action to a Magistrate Judge form (AO-85) is available for download at #http://www.uscourts.gov/services-forms/forms. (TMK) |
AUTOMATIC REFERRAL to Mediation The ADR Plan is available for download at #http://www.nywd.uscourts.gov/alternative-dispute-resolution.(TMK) |
Case Assigned to Hon. Frank P. Geraci, Jr. Notification to Chambers of on-line civil case opening. (TMK) |
Filing 4 CERTIFICATE OF SERVICE by Speedway LLC re #1 Notice of Removal,, (Hannah, Brittany) |
Filing 3 CERTIFICATE OF SERVICE by Speedway LLC re #2 Jury Demand (Hannah, Brittany) |
Filing 2 DEMAND for Trial by Jury by Speedway LLC. (Hannah, Brittany) |
Filing 1 NOTICE OF REMOVAL by Speedway LLC from Wayne, case number CV089202. (Filing fee $ 402 receipt number ANYWDC-4868182), filed by Speedway LLC. (Attachments: #1 Exhibit Index of Exhibits, #2 Exhibit Summons and Complaint, #3 Exhibit Answer, #4 Exhibit D's Request for Supplemental Demand Relief to P, #5 Exhibit P's Response to Speedway's Demand for Supplemental Demand for Relief with Letter, #6 Civil Cover Sheet Civil Cover Sheet, #7 Supplement Disclosure Statement)(Hannah, Brittany) |
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Plaintiff: Michelle Calabro | |
Represented By: | Christopher G. Johnson |
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Defendant: Speedway LLC | |
Represented By: | Brittany L. Hannah |
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