NOSTALGIC PARTNERS et al v. PHILADELPHIA INDEMNITY INSURANCE CO.
| GREENVILLE DRIVE LLC, 7TH INNING STRETCH LP d/b/a DELMARVA SHOREBIRDS, NOSTALGIC PARTNERS D/B/A STATEN ISLAND YANKEES, LONG BALL INC. doing business as SPOKANE INDIAN BASEBALL CLUB, STORM EVENTS LLC, ALBUQUERQUE BASEBALL CLUB LLC doing business as ALBUQUERQUE ISOTOPES, GOLDEN STATE CONCESSIONS & CATERING INC., NOSTALGIC PARTNERS LLC doing business as STATEN ISLAND YANKEES, LAKE ELSINORE STORM LP, RANCHO BASEBALL LLC, 7TH INNING STRETCH LP doing business as DELMARVA SHOREBIRDS, NORTHWEST BASEBALL VENTURES I LLC doing business as TRI-CITY DUST DEVILS BASEBALL, STORM THREDZ LLC and DIAMOND STADIUM GROUP LLC |
| PHILADELPHIA INDEMNITY INSURANCE CO. |
| 2:2020cv03346 |
| July 8, 2020 |
| U.S. District Court for the Eastern District of Pennsylvania |
| JOSHUA D WOLSON |
| Contract: Insurance |
| 28 U.S.C. § 1441 |
| Plaintiff |
Docket Report
This docket was last retrieved on August 24, 2020. A more recent docket listing may be available from PACER.
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| Filing 38 Original Record together with certified copy of docket entries received from Court of Common Pleas of Philadelphia County. (afm, ) |
Filing 37
ORDER THAT DEFENDANT PHILADELPHIA INDEMNITY INSURANCE CO. SHALL HAVE UNTIL SEPTEMBER 15, 2020, TO ANSWER, MOVE OR OTHERWISE RESPOND TO PLAINTIFF'S FIRST AMENDED COMPLAINT. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 08/21/2020. 08/21/2020 ENTERED AND E-MAILED.(ja, )
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| Filing 36 Disclosure Statement Form pursuant to FRCP 7.1 by NORTHWEST BASEBALL VENTURES I LLC.(SANDLER, ANDREW) |
| Filing 35 Disclosure Statement Form pursuant to FRCP 7.1 by STORM THREDZ LLC.(SANDLER, ANDREW) |
| Filing 34 Disclosure Statement Form pursuant to FRCP 7.1 by STORM EVENTS LLC.(SANDLER, ANDREW) |
| Filing 33 Disclosure Statement Form pursuant to FRCP 7.1 by LONG BALL INC..(SANDLER, ANDREW) |
| Filing 32 Disclosure Statement Form pursuant to FRCP 7.1 by RANCHO BASEBALL LLC.(SANDLER, ANDREW) |
| Filing 31 Disclosure Statement Form pursuant to FRCP 7.1 by LAKE ELSINORE STORM LP.(SANDLER, ANDREW) |
| Filing 30 Disclosure Statement Form pursuant to FRCP 7.1 by GOLDEN STATE CONCESSIONS & CATERING INC..(SANDLER, ANDREW) |
| Filing 29 Disclosure Statement Form pursuant to FRCP 7.1 by DIAMOND STADIUM GROUP LLC.(SANDLER, ANDREW) |
| Filing 28 Disclosure Statement Form pursuant to FRCP 7.1 by ALBUQUERQUE BASEBALL CLUB LLC.(SANDLER, ANDREW) |
| Filing 27 AMENDED COMPLAINT against All Defendants All Defendants., filed by 7TH INNING STRETCH LP, GREENVILLE DRIVE LLC, NOSTALGIC PARTNERS, ALBUQUERQUE BASEBALL CLUB LLC, LAKE ELSINORE STORM LP, STORM THREDZ LLC, STORM EVENTS LLC, LONG BALL INC., DIAMOND STADIUM GROUP LLC, RANCHO BASEBALL LLC, GOLDEN STATE CONCESSIONS & CATERING INC., NORTHWEST BASEBALL VENTURES I LLC. (Attachments: #1 Exhibit Ex. A - Greenville Drive policy, #2 Exhibit Ex. B - Staten Island Yankees policy, #3 Exhibit Ex. C - Albuquerque Isotopes policy, #4 Exhibit Ex. D - Lake Elsinore Storm policy, #5 Exhibit Ex. E - Spokane Indians, Tri-City Dust Devils, Rancho Cucamonga Quakes policy, #6 Exhibit Ex. F - Delmarva Shorebirds 2019-20 policy, #7 Exhibit Ex. G - Delmarva Shorebirds 2020-21 policy)(SANDLER, ANDREW) |
Filing 26
ORDER THAT THE APPLICATION OF PATRICK PIJLS, ESQUIRE TO PRACTICE IN THIS COURT PURSUANT TO LOCAL RULE OF CIVIL PROCEDURE 83.5.2(b) IS GRANTED. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 8/5/20.8/6/20 ENTERED AND COPIES E-MAILED.(mbh, )
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Filing 25
ORDER THAT THE APPLICATION OF ROBIN COHEN, ESQUIRE TO PRACTICE IN THIS COURT PURSUANT TO LOCAL RULE OF CIVIL PROCEDURE 83.5.2(b) IS GRANTED. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 8/5/20.8/6/20 ENTERED AND COPIES E-MAILED.(mbh, )
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Filing 24
ORDER THAT THE APPLICATION OF ORRIE A. LEVY, ESQUIRE TO PRACTICE IN THIS COURT PURSUANT TO LOCAL RULE OF CIVIL PROCEDURE 83.5.2(b) IS GRANTED. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 8/5/20.8/6/20 ENTERED AND COPIES E-MAILED.(mbh, )
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Filing 23
ORDER THAT THE APPLICATION OF JOHN BRIODY, ESQUIRE TO PRACTICE IN THIS COURT PURSUANT TO LOCAL RULE OF CIVIL PROCEDURE 83.5.2(b) IS GRANTED. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 8/5/20.8/6/20 ENTERED AND COPIES E-MAILED.(mbh, )
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| Filing 22 MOTION for Pro Hac Vice for Patrick Pijls, MOTION for Pro Hac Vice for Patrick Pijls ( Filing fee $ 40 receipt number 0313-14472433.) filed by 7TH INNING STRETCH LP, GREENVILLE DRIVE LLC, NOSTALGIC PARTNERS.Certificate of Service. (Attachments: #1 Attachment A)(SANDLER, ANDREW) |
| Filing 21 MOTION for Pro Hac Vice for Robin Cohen, MOTION for Pro Hac Vice for Robin Cohen ( Filing fee $ 40 receipt number 0313-14472425.) filed by 7TH INNING STRETCH LP, GREENVILLE DRIVE LLC, NOSTALGIC PARTNERS.Certificate of Service. (Attachments: #1 Attachment A)(SANDLER, ANDREW) |
| Filing 20 MOTION for Pro Hac Vice for Orrie Levy, MOTION for Pro Hac Vice for Orrie Levy ( Filing fee $ 40 receipt number 0313-14472397.) filed by 7TH INNING STRETCH LP, GREENVILLE DRIVE LLC, NOSTALGIC PARTNERS.Certificate of Service. (Attachments: #1 Attachment A)(SANDLER, ANDREW) |
| Filing 19 MOTION for Pro Hac Vice for John Briody, MOTION for Pro Hac Vice for John Briody ( Filing fee $ 40 receipt number 0313-14472332.) filed by 7TH INNING STRETCH LP, GREENVILLE DRIVE LLC, NOSTALGIC PARTNERS.Certificate of Service. (Attachments: #1 Attachment A)(SANDLER, ANDREW) |
Filing 18
ORDER THAT PLAINTIFFS SHALL HAVE UNTIL 8/12/20 TO FILE AN AMENDED COMPLAINT. DEFENDANT SHALL HAVE 14 DAYS FROM THE DATE THE AMENDED COMPLAINT IS FILED TO RESPOND. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 8/3/20. 8/3/20 ENTERED AND COPIES E-MAILED.(amas, )
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Filing 17
ORDER THAT DEFENDANT PHILADELPHIA INDEMNITY INSURANCE COMPANY SHALL HAVE UNTIL AUGUST 4, 2020 TO ANSWER, MOVE OR OTHERWISE RESPOND TO PLAINTIFF'S COMPLAINT. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 07/29/2020. 07/29/2020 ENTERED AND E-MAILED.(ja, )
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| Filing 16 Praecipe to Withdraw Motion to Dismiss (ECF No. 14), its Memorandum of Law filed in support of the Motion (ECF No. 14-1) and Exhibits A and B to the Motion (respectively, ECF Nos. 14-2 and 14- 3). filed by PHILADELPHIA INDEMNITY INSURANCE CO..Certificate of Service.(GROSSMAN, JEFFREY) Modified on 7/29/2020 (fb). |
| Filing 15 Affidavit of Service by NOSTALGIC PARTNERS, 7TH INNING STRETCH LP, GREENVILLE DRIVE LLC re: Pam King Wheetley served State Court Summons and State Court Complaint upon PHILADELPHIA INDEMNITY INSURANCE CO. by Personal service. (GUITERMAN, REBECCA) Modified on 7/29/2020 (fb). |
| Filing 14 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM filed by PHILADELPHIA INDEMNITY INSURANCE CO..Memorandum, Certificate of Service. (Attachments: #1 Memorandum In Support of Motion to Dismiss Complaint, #2 Exhibit A, #3 Exhibit B)(GROSSMAN, JEFFREY) |
| Filing 13 Disclosure Statement Form pursuant to FRCP 7.1 with Certificate of Service by PHILADELPHIA INDEMNITY INSURANCE CO..(GROSSMAN, JEFFREY) |
Filing 12
ORDER THAT THE APPLICATION OF REBECCA A. GUITERMAN, ESQUIRE TO PRACTICE IN THIS COURT PURSUANT TO LOCAL RULE OF CIVIL PROCEDURE 83.5.2(b) IS GRANTED. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 7/24/20. 7/24/20 ENTERED AND COPIES E-MAILED.(mbh, )
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Filing 11
ORDER THAT THE APPLICATION OF STEPHEN M. LEBLANC, ESQUIRE TO PRACTICE IN THIS COURT PURSUANT TO LOCAL RULE OF CIVIL PROCEDURE 83.5.2(b) IS GRANTED. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 7/24/20. 7/24/20 ENTERED AND COPIES E-MAILED.(mbh, )
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| Filing 10 Disclosure Statement Form pursuant to FRCP 7.1 by NOSTALGIC PARTNERS.(SANDLER, ANDREW) |
| Filing 9 Disclosure Statement Form pursuant to FRCP 7.1 by GREENVILLE DRIVE LLC.(SANDLER, ANDREW) |
| Filing 8 Disclosure Statement Form pursuant to FRCP 7.1 by 7TH INNING STRETCH LP.(SANDLER, ANDREW) |
| Filing 7 APPLICATION for Admission Pro Hac Vice of Rebecca A. Guiterman by 7TH INNING STRETCH LP, GREENVILLE DRIVE LLC, NOSTALGIC PARTNERS. ( Filing fee $ 40 receipt number 0313-14447270.). (SANDLER, ANDREW) |
| Filing 6 APPLICATION for Admission Pro Hac Vice of Stephen M. LeBlanc by 7TH INNING STRETCH LP, GREENVILLE DRIVE LLC, NOSTALGIC PARTNERS. ( Filing fee $ 40 receipt number 0313-14447257.). (SANDLER, ANDREW) |
Filing 5
ORDER THAT THE APPLICATION OF JEFFREY A. ZACHMAN, ESQUIRE TO PRACTICE IN THIS COURT PURSUANT TO LOCAL RULE OF CIVIL PROCEDURE 83.5.2(b) IS GRANTED.. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 7/20/20.7/20/20 ENTERED AND COPIES E-MAILED.(mbh, )
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Filing 4
ORDER THAT THE APPLICATION OF RICHARD L. FENTON, ESQUIRE TO PRACTICE IN THIS COURT PURSUANT TO LOCAL RULE OF CIVIL PROCEDURE 83.5.2(b) IS GRANTED.. SIGNED BY HONORABLE JOSHUA D. WOLSON ON 7/20/20.7/20/20 ENTERED AND COPIES E-MAILED.(mbh, )
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| Filing 3 MOTION for Pro Hac Vice Jeffrey A. Zachman ( Filing fee $ 40 receipt number 0313-14430094.) filed by PHILADELPHIA INDEMNITY INSURANCE CO..Certificate of Service.(GROSSMAN, JEFFREY) |
| Filing 2 MOTION for Pro Hac Vice Richard L. Fenton ( Filing fee $ 40 receipt number 0313-14430064.) filed by PHILADELPHIA INDEMNITY INSURANCE CO..Certificate of Service.(GROSSMAN, JEFFREY) |
| DEMAND for Trial by Jury by 7TH INNING STRETCH LP, GREENVILLE DRIVE LLC, NOSTALGIC PARTNERS. (fb) |
| Filing 1 NOTICE OF REMOVAL by PHILADELPHIA INDEMNITY INSURANCE CO. (Filing fee $ 400 receipt number 0313-14407865), filed by PHILADELPHIA INDEMNITY INSURANCE CO.. (Attachments: #1 Exhibit State Court Filings, #2 Case Management Track Form, #3 Civil Cover Sheet, #4 Designation Form)(GROSSMAN, JEFFREY) |
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