Setterquist v. Law Offices of Ted D Billbe PLLC et al
Plaintiff: Nancy Setterquist
Defendant: Ted D Billbe and Law Office of Ted D. Billbe, PLLC
Case Number: 2:2018cv01131
Filed: August 2, 2018
Court: US District Court for the Western District of Washington
Office: Seattle Office
County: XX US, Outside District
Presiding Judge: John C Coughenour
Nature of Suit: Personal Property: Other
Cause of Action: 28 U.S.C. § 1441
Jury Demanded By: None
Docket Report

This docket was last retrieved on December 4, 2019. A more recent docket listing may be available from PACER.

Date Filed Document Text
September 26, 2018 Filing 33 MINUTE ORDER calling for a response from Defendants to Plaintiff's #32 MOTION for Reconsideration; RENOTING Plaintiff's #32 Motion for Reconsideration : Noting Date 10/12/2018. Authorized by U.S. District Judge John C. Coughenour. (SWT)
September 25, 2018 Filing 32 MOTION for Reconsideration re #20 Response to Motion, #30 Order on Motion to Dismiss for Failure to State a Claim,, Order on Motion for Partial Summary Judgment, , filed by Plaintiff Nancy Setterquist. Noting Date 9/25/2018, (Waid, Brian)
September 24, 2018 Filing 31 JUDGMENT BY COURT. Defendants' Federal Rule of Civil Procedure 12(b)(6) motion to dismiss is GRANTED. Plaintiff's complaint is DISMISSED with prejudice. Plaintiff's motion for partial summary judgment is STRICKEN as moot. (TH)
September 24, 2018 Opinion or Order Filing 30 ORDER granting Defendants' #12 Motion to Dismiss for Failure to State a Claim; Plaintiff's complaint (Dkt. No. #2 -1) is DISMISSED with prejudice. Plaintiff's motion for partial summary judgment (Dkt. No. #14 ) is STRICKEN as moot. Signed by U.S. District Judge John C Coughenour. (TH)
September 10, 2018 Filing 29 SURREPLY filed by Defendants Ted D Billbe, Law Office of Ted D. Billbe, PLLC re #12 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM (Rosenberg, Marc)
September 10, 2018 Filing 28 NOTICE of Supplemental Authority re #20 Response to Motion To Dismiss by Plaintiff Nancy Setterquist (Waid, Brian)
September 7, 2018 Filing 27 NOTICE of Unavailability of counsel Marc Rosenberg for Defendants Ted D Billbe, Law Office of Ted D. Billbe, PLLC from 11/19/18 to 11/26/18 and 12/25/18 to 01/04/19. (Rosenberg, Marc)
August 30, 2018 Filing 26 REPLY, filed by Defendants Ted D Billbe, Law Office of Ted D. Billbe, PLLC, TO RESPONSE to #12 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM (Rosenberg, Marc)
August 28, 2018 Filing 25 REPLY, filed by Plaintiff Nancy Setterquist, TO RESPONSE to #14 MOTION for Partial Summary Judgment on: (1) Whether Expert Testimony is Necessary to Prove Defendant's Breach of the Standard of Care, and; (2) Whether Defendant Breached the Standard of Care (Waid, Brian)
August 27, 2018 Filing 24 DECLARATION of Brian J Waid in Support of Plaintiff's Objection to Defendants' Motion for Rule 56(d) Continuance of Plaintiff's Motion for Partial Summary Judgment filed by Plaintiff Nancy Setterquist re #14 MOTION for Partial Summary Judgment on: (1) Whether Expert Testimony is Necessary to Prove Defendant's Breach of the Standard of Care, and; (2) Whether Defendant Breached the Standard of Care (Waid, Brian)
August 27, 2018 Filing 23 RESPONSE, by Plaintiff Nancy Setterquist, to #14 MOTION for Partial Summary Judgment on: (1) Whether Expert Testimony is Necessary to Prove Defendant's Breach of the Standard of Care, and; (2) Whether Defendant Breached the Standard of Care. (Attachments: #1 Proposed Order)(Waid, Brian)
August 27, 2018 Filing 22 DECLARATION of Brian J Waid Attaching Documents to be Judicially Noticed filed by Plaintiff Nancy Setterquist re #12 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM (Waid, Brian)
August 27, 2018 Filing 21 DECLARATION of Nancy Setterquist filed by Plaintiff Nancy Setterquist re #12 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM (Waid, Brian)
August 27, 2018 Filing 20 RESPONSE, by Plaintiff Nancy Setterquist, to #12 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM . (Attachments: #1 Proposed Order)(Waid, Brian)
August 27, 2018 Filing 19 DECLARATION of Ted D. Billbe filed by Defendants Ted D Billbe, Law Office of Ted D. Billbe, PLLC re #14 MOTION for Partial Summary Judgment on: (1) Whether Expert Testimony is Necessary to Prove Defendant's Breach of the Standard of Care, and; (2) Whether Defendant Breached the Standard of Care (Attachments: #1 Exhibit 1-4)(Rosenberg, Marc)
August 27, 2018 Filing 18 DECLARATION of Marc Rosenberg on Rule 56(d) Request to Continue filed by Defendants Ted D Billbe, Law Office of Ted D. Billbe, PLLC re #14 MOTION for Partial Summary Judgment on: (1) Whether Expert Testimony is Necessary to Prove Defendant's Breach of the Standard of Care, and; (2) Whether Defendant Breached the Standard of Care (Rosenberg, Marc)
August 27, 2018 Filing 17 RESPONSE, by Defendants Ted D Billbe, Law Office of Ted D. Billbe, PLLC, to #14 MOTION for Partial Summary Judgment on: (1) Whether Expert Testimony is Necessary to Prove Defendant's Breach of the Standard of Care, and; (2) Whether Defendant Breached the Standard of Care. (Attachments: #1 Proposed Order)(Rosenberg, Marc)
August 24, 2018 Filing 16 NOTICE OF VACATING THE STATUS CONFERENCE. The Court, on its own motion and in the interest of judicial economy, hereby orders the Status Conference set on 8/28/18 @ 9:00 a.m. vacated. No appearances by counsel or the parties shall be necessary and the matter may be reset after the Court has issued rulings on the pending dispositive motions. (PP)
August 9, 2018 Filing 15 DECLARATION of Brian J Waid in Support of Plaintiff's Motion for Partial Summary Judgment filed by Plaintiff Nancy Setterquist re #14 MOTION for Partial Summary Judgment on: (1) Whether Expert Testimony is Necessary to Prove Defendant's Breach of the Standard of Care, and; (2) Whether Defendant Breached the Standard of Care (Waid, Brian)
August 9, 2018 Filing 14 MOTION for Partial Summary Judgment on: (1) Whether Expert Testimony is Necessary to Prove Defendant's Breach of the Standard of Care, and; (2) Whether Defendant Breached the Standard of Care, filed by Plaintiff Nancy Setterquist. (Attachments: #1 Proposed Order) Noting Date 8/31/2018, (Waid, Brian)
August 8, 2018 Filing 13 DECLARATION of Marc Rosenberg Attaching Documents for Judicial Notice filed by Defendants Ted D Billbe, Law Office of Ted D. Billbe, PLLC re #12 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM (Attachments: #1 Exhibit 1-2, #2 Exhibit 3, #3 Exhibit 4, #4 Exhibit 5, #5 Exhibit 5.1, #6 Exhibit 6-9, #7 Exhibit 10-13)(Rosenberg, Marc)
August 8, 2018 Filing 12 MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM , filed by Defendants Ted D Billbe, Law Office of Ted D. Billbe, PLLC. (Attachments: #1 Proposed Order) Noting Date 8/31/2018, (Rosenberg, Marc)
August 7, 2018 Opinion or Order Filing 11 ORDER REGARDING DISCOVERY AND DEPOSITIONS by U.S. District Judge John C. Coughenour. (PP)
August 7, 2018 Filing 10 MINUTE ENTRY re: STATUS CONFERENCE. The attorney who will be responsible for trying the case, or that attorney's representative, should attend the conference and be prepared to discuss the following matters at the conference: 1. An estimate of the number of days needed for trial; 2. The date by which the case will be ready for trial; 3. Whether the parties intend to mediate per LCR 39.1 and, if so, when the parties expect to complete mediation; If counsel's office is outside of the Greater Metropolitan Seattle area, local counsel should attend on behalf of non-local counsel. If local counsel is unavailable, non-local counsel may make arrangements to participate telephonically in the conference by contacting the Courtroom Deputy Clerk at Paul_Pierson@wawd.uscourts.gov at least TEN (10) DAYS in advance of the proceeding. Counsel do NOT need to file a Joint Status Report or Rule 26(f) Report in advance of the Status Conference. Counsel should plan on arriving 10-15 minutes early to check in with the Courtroom Deputy Clerk as the Court's calendar begins promptly at 9:00 a.m. COUNSEL OR THE PRO SE PARTY WHO FILED THIS MATTER SHALL IMMEDIATELY NOTIFY ALL PARTIES OF THE DATE AND TIME OF THE SCHEDULED STATUS CONFERENCE. A Status Conference is ordered set for 8/28/2018 at 9:00 AM in Courtroom 16206 before U.S. District Judge John C. Coughenour. (PP)
August 6, 2018 Filing 9 NOTICE of Appearance by attorney Jeffrey Paul Downer on behalf of Defendants Ted D Billbe, Law Office of Ted D. Billbe, PLLC. (Downer, Jeffrey)
August 6, 2018 Filing 8 NOTICE of Unavailability of counsel Marc Rosenberg for Defendants Ted D Billbe, Law Office of Ted D. Billbe, PLLC from August 12, 2018 to August 18, 2018. (Rosenberg, Marc)
August 6, 2018 Filing 7 NOTICE TO FILER: re #1 Notice of Removal. Notice of Filing Deficiency** Action Required ** See Attached Letter for More Information and Instructions. (SG)
August 6, 2018 Filing 6 LETTER from Clerk to counsel re receipt of case from King County Superior Court and advising of WAWD case number and judge assignment. (SG)
August 6, 2018 U.S. District Judge John C Coughenour added. (SG)
August 2, 2018 Filing 5 CORPORATE DISCLOSURE STATEMENT indicating no Corporate Parents and/or Affiliates. Filed pursuant to Fed.R.Civ.P 7.1. Filed by Law Office of Ted D. Billbe, PLLC (Rosenberg, Marc)
August 2, 2018 Filing 4 VERIFICATION OF STATE COURT RECORDS by Plaintiff Law Office of Ted D. Billbe, PLLC (Attachments: #1 Exhibit 1 - State Court Records)(Rosenberg, Marc)
August 2, 2018 Filing 3 CERTIFICATE of Notification of Filing Notice of Removal With State Court re #1 Notice of Removal by Plaintiff Law Office of Ted D. Billbe, PLLC (Rosenberg, Marc)
August 2, 2018 Filing 2 PRAECIPE to attach document re #1 Notice of Removal by Plaintiff Law Office of Ted D. Billbe, PLLC (Attachments: #1 Complaint, #2 Civil Cover Sheet)(Rosenberg, Marc)
August 2, 2018 Filing 1 NOTICE OF REMOVAL from King County Superior Court, case number 18-2-19178-5 SEA; (Receipt # 0981-5419253), filed by Law Office of Ted D. Billbe, PLLC.(Rosenberg, Marc)

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Defendant: Ted D Billbe
Represented By: Marc Rosenberg
Represented By: Jeffrey Paul Downer
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Defendant: Law Office of Ted D. Billbe, PLLC
Represented By: Marc Rosenberg
Represented By: Jeffrey Paul Downer
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Plaintiff: Nancy Setterquist
Represented By: Brian Joel Waid
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