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DOCUMENTS ASSOCIATED WITH THIS CASE
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Tab Number
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Document Date
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Document Description
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1
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3/19/2009
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Complaint
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2
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3/19/2009
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Civil Cover Sheet
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3
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3/19/2009
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Attorney Appearance
Re: Robert F. Coleman on behalf of Vera Bowman, Penny Nigh, on her own behalf and as next friend of Heather Nigh, and Phillip Jones, on their own behalf and on behalf of all others similarly situated, Plaintiffs
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4
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3/19/2009
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Attorney Appearance
Re: Cassandra A. Crotty on behalf of Vera Bowman, Penny Nigh, on her own behalf and as next friend of Heather Nigh, and Phillip Jones, on their own behalf and on behalf of all others similarly situated, Plaintiffs
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5
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3/19/2009
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Attorney Appearance
Re: Elizabeth E. Richert on behalf of Vera Bowman, Penny Nigh, on her own behalf and as next friend of Heather Nigh, and Phillip Jones, on their own behalf and on behalf of all others similarly situated, Plaintiffs
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6
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3/19/2009
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There is no document number 4
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7
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3/20/2009
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Assignment of Judge and Magistrate
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8
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3/23/2009
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Attorney Appearance
Re: Sean B. Crotty on behalf of Vera Bowman, Penny Nigh, on her own behalf and as next friend of Heather Nigh, and Phillip Jones, on their own behalf and on behalf of all others similarly situated, Plaintiffs
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9
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3/23/2009
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Attorney Appearance
Re: Eugene J. Schiltz on behalf of Vera Bowman, Penny Nigh, on her own behalf and as next friend of Heather Nigh, and Phillip Jones, on their own behalf and on behalf of all others similarly situated, Plaintiffs
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10
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3/31/2009
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Notification of Docket Entry
Re: Status hearing set for 5/12/09 at 9:00 a.m.
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11
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5/7/2009
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Attorney Appearance
Re: Bart T. Murphy of Ice Miller LLP on behalf of Envision EMI, LLC and Congressional Youth Leadership (a trade name of Envision EMI, LLC), Defendants
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12
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5/7/2009
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Attorney Appearance
Re: Thomas J. Hayes of Ice Miller LLP on behalf of Envision EMI, LLC and Congressional Youth Leadership (a trade name of Envision EMI, LLC), Defendants
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13
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5/7/2009
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Defendants Congressional Youth Leadership Council and Envision EMI, LLC’s Motion to Dismiss
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14
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5/7/2009
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Defendants Congressional Youth Leadership Council and Envision EMI, LLC’s Memorandum of Law in Support of Their Motion to Dismiss
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15
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5/12/2009
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Minute Entry
Re: Defendants’ motion to dismiss [11] is taken under advisement; plaintiff shall respond on 5/22/09; defendants’ reply due 5/29/09; plaintiffs’ motion for class certification due 6/11/09; parties shall comply with FRCP 26(a)(1) by 5/22/09; discovery cutoff and filing of dispositive motions with memoranda due 11/6/09; modified joint pretrial order submission and agreed pattern jury instructions set on 11/7/09 at 9:00 a.m.; Plaintiff’s draft to be submitted to defendant by 11/20/09; case is placed on December Trial Calendar.
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16
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5/20/2009
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Motion for Leave to Appear Pro Hac Vice
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17
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5/21/2009
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Motion to Allow Plaintiffs Leave to File Amended Complaint
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18
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5/21/2009
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Plaintiff’s Motion for Class Certification
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19
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5/21/2009
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Notice of Plaintiff’s Motion for Class Certification
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20
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5/21/2009
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Memorandum of Law in Support of Plaintiffs’ Motion for Class Certification
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21
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5/21/2009
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Attorney Appearance
Re: Cassandra A. Crotty on behalf of Vera Bowman, Penny Nigh, on her own behalf and as next friend of Heather Nigh, and Phillip Jones, on their own behalf and on behalf of all others similarly situated, Plaintiffs
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22
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5/22/2009
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Plaintiffs’ Brief in Opposition to Defendants’ Motion to Dismiss
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23
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5/22/2009
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Docket Entry
Re: Plaintiff’s motion for class certification [19] is taken under advisement; defendants shall respond by 7/2/09; plaintiffs’ reply is due 7/10/09
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24
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5/22/2009
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Docket Entry
Plaintiffs’ motion for leave to file an amended complaint [17] is granted; defendants’ motion to dismiss [11] stands as the amended complaint
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25
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5/22/2009
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Plaintiff’s Response in Opposition to Defendant’s Motion to Dismiss
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26
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5/27/2009
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Amended Complaint
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27
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5/27/2009
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Notice of Correction
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28
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6/8/2009
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Defendants’ Congressional Youth Leadership Council and Envision EMI, LLC’s Memorandum of Law in Support of Their Motion to Transfer
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29
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6/8/2009
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Defendants’ Motion to Stay Proceedings Pending Decision of the JMPL or Ruling on Their Motion to Transfer
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30
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6/8/2009
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Defendants’ Memorandum in Support of Their Motion to Stay
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31
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6/12/2009
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Docket Entry
Re: Defendants’ motion to dismiss is granted in part; claims of plaintiffs are dismissed as moot; motion to dismiss complaint is denied; amended complaint stands as to the other named plaintiffs; defendants shall answer the amended complaint by 6/22/09
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32
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6/16/2009
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Reply Memorandum in Support Plaintiffs’ Motion for Transfer of Actions Pursuant to 28 U.S.C. § 1407
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33
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6/17/2009
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Agreed Emergency Motion of Defendants o Stay Proceedings Pending Mediation
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34
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6/18/2009
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Minute Entry
Re: Motion to transfer is taken under advisement; plaintiffs shall respond by 6/30/09; defendants motion to stay is pending the decision of the JPML or ruling of their motion to transfer is denied
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35
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6/22/2009
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Answer and Affirmative Defenses to Amended Complaint
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36
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6/24/2009
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Minute Entry
Re: Defendants emergency motion to stay proceedings is denied
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37
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6/24/2009
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Docket Entry
Re: Parties agreed joint motion to modify briefing schedule on plaintiff's motion for class certification and defendants motion to transfer is granted; briefing to plaintiff's motion is reset and defendants response is extended to 8/30/09; plaintiff's reply is extended to 8/14/09; plaintiffs response to defendants motion to transfer is extended to 7/30/09; there are no further extensions
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38
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7/13/2009
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Docket Entry
Re: On the court's own motion, submission of the joint final pretrial order and agreed final jury instructions on 11/27/09 is reset on 12/2/09 at 9:00 a.m. All other dates stand
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39
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7/30/2009
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Plaintiff’s Response to Defendants’ Motion to Transfer This Action
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40
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8/6/2009
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Joint Notice of Settlement
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41
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8/6/2009
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Joint Notice of Settlement
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42
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8/10/2009
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Joint Notice of Settlement and Request for Stay
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43
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8/11/2009
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Notice of Withdrawal of Plaintiffs’ Motion for Class Certification
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44
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8/18/2009
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Order
Re: Status is set for 9/9/09 at 9:45 a.m.
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45
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8/24/2009
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Joint Motion to Vacate Order of Dismissal and Consent to Transfer of Venue to the United States District Court for the District of Columbia
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