Chesnutt et al v. QBE Specialty Insurance Company
James Warren Chesnutt and tracy chesnutt |
QBE Specialty Insurance Company |
4:2021cv00171 |
November 15, 2021 |
US District Court for the Eastern District of North Carolina |
Terrence W Boyle |
Insurance |
28 U.S.C. § 1446 |
Both |
Docket Report
This docket was last retrieved on April 17, 2023. A more recent docket listing may be available from PACER.
Document Text |
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Filing 17 ORDER granting #15 Motion for Extension of Time to File a Response to Defendant's Motion to Dismiss. Signed by District Judge Terrence W. Boyle on 1/6/2022. (Stouch, L.) |
Filing 16 AFFIDAVIT regarding #15 MOTION for Extension of Time to File Answer to Defendant's Motion to Dismiss by James Warren Chesnutt, Tracy Chesnutt (Schmidlin, Walter) |
Motion Submitted to District Judge Terrence W. Boyle regarding #15 MOTION for Extension of Time to File Answer to Defendant's Motion to Dismiss. (Stouch, L.) |
Filing 15 MOTION for Extension of Time to File Answer to Defendant's Motion to Dismiss filed by James Warren Chesnutt, Tracy Chesnutt. (Attachments: #1 Text of Proposed Order) (Schmidlin, Walter) |
Filing 14 Financial Disclosure Statement by Tracy Chesnutt (Schmidlin, Walter) |
Filing 13 Financial Disclosure Statement by James Warren Chesnutt (Schmidlin, Walter) |
Filing 12 Notice of Appearance filed by Walter A. Schmidlin, III on behalf of All Plaintiffs. (Schmidlin, Walter) |
Filing 11 Memorandum in Support regarding #10 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM filed by QBE Specialty Insurance Company. (Attachments: #1 Exhibit A - Declaration of Misty Scarletto) (Brown, David) |
Filing 10 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM filed by QBE Specialty Insurance Company. (Attachments: #1 Exhibit A - Declaration of Misty Scarletto) (Brown, David) |
Filing 9 SECOND Notice regarding #1 Notice of Removal and requirement to make a Notice of Appearance sent to Plaintiff's Counsel, Walter A. Schmidlin, III of Stewart, Schmidlin & Bullock, PLLC at Post Office Drawer 120, 115 South Third Street, Smithfield, NC 27577 mailed via US Mail. (Stouch, L.) |
Filing 8 ORDER granting #6 Motion for Extension of Time to Answer. The time in which Defendant QBE Specialty Insurance Company may respond or otherwise plead to Plaintiffs' Complaint is extended 14 days, up to and including December 6, 2021. Signed by Peter A. Moore, Jr., Clerk of Court on 11/23/2021. (Copy of order sent to Walter A. Schmidlin, III of Stewart, Schmidlin & Bullock, PLLC at Post Office Drawer 120, 115 South Third Street, Smithfield, NC 27577 via US Mail.) (Waddell, K.) |
Filing 7 Proposed Order regarding #6 MOTION for Extension of Time to File Answer regarding #1 Notice of Removal, filed by QBE Specialty Insurance Company. (Brown, David) |
Motion Referred to Peter A. Moore, Jr., Clerk of Court regarding #6 MOTION for Extension of Time to File Answer regarding #1 Notice of Removal. (Waddell, K.) |
NOTICE OF DEFICIENCY regarding #6 Motion for Extension of Time to File Answer. At the direction of the court, counsel shall file a proposed order. The order must be filed electronically using the event PROPOSED ORDER located in the RESPONSES AND REPLIES category. (Waddell, K.) |
Filing 6 MOTION for Extension of Time to File Answer regarding #1 Notice of Removal, filed by QBE Specialty Insurance Company. (Brown, David) |
Filing 5 Notice filed by QBE Specialty Insurance Company regarding #1 Notice of Removal, . (Brown, David) |
Filing 4 Notice of Appearance filed by David L. Brown on behalf of QBE Specialty Insurance Company. (Brown, David) |
Filing 3 Notice regarding #1 Notice of Removal and requirement to make a Notice of Appearance sent to Plaintiff's Counsel, Walter A. Schmidlin, III of Stewart, Schmidlin & Bullock, PLLC at Post Office Drawer 120, 115 South Third Street, Smithfield, NC 27577 mailed via US Mail on November 16, 2021. (Rudd, D.) |
Notice to Counsel - The address information in the signature block for Laura M. Forrest on the complaint does not match the information that the court has in its CM/ECF database. Counsel should email the updated law firm information to the clerk's office at NCED-AttomeyUpdate@nced.uscourts.gov. Once updated, the new contact information will be reflected on the docket of all cases in which counsel entered an appearance. (Rudd, D.) |
NOTICE OF DEFICIENCY regarding #1 Notice of Removal: Counsel has failed to attach the Supplemental Removal Cover Sheet as required by Local Rule 5.3(a). This form can be found on the court's website and can be filed using the event Notice - Other. Counsel should add as attachments any other documents required under Local Rule 5.3(a) that have not already been filed. (Rudd, D.) |
Notice to Counsel - All Counsel should file a Notice of Appearance pursuant to Local Civil Rule 5.2(a). (Rudd, D.) |
Filing 2 Financial Disclosure Statement by QBE Specialty Insurance Company (Brown, David) |
Filing 1 NOTICE OF REMOVAL by QBE Specialty Insurance Company from Carteret County, NC, case number 21 CVS 913. ( Filing fee $ 402 receipt number 0417-6318258), filed by QBE Specialty Insurance Company. (Attachments: #1 Exhibit A - Carteret County Court File, #2 Exhibit B - Notice of Filing of Notice of Removal, #3 Civil Cover Sheet) (Brown, David) |
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