Catar Clinic of Hot Springs LLC et al v. Robinson et al
Filing
202
ORDER: The Court received the attached note and cover letter from Steppig with the 199 Motion to compel. Signed by Judge D. P. Marshall Jr. on 6/12/2018. (jak)
IN THE UNITED STATES DISTRICT COURT
EASTERN DISTRICT OF ARKANSAS
WESTERN DIVISION
CAT AR CLINIC OF HOT SPRINGS,
LLC; STOCKTON MEDICAL
GROUP, LTD.; and C.A.T.A.R.,
LTD.
v.
PLAINTIFFS/
COUNTER-DEFENDANTS
No. 4:17-cv-520-DPM
THOMAS F. ROBINSON, M.D.; TIFFANY
TERRY; ARKANSAS RECOVERY CLINIC;
ARC REHABILITATION CENTER, P.A.;
CSCB REHABILITATION MANAGEMENT
GROUP, LLC; ADDICTION RECOVERY
CARE OF LITTLE ROCK; ARC CLINIC;
and JILL COGBURN
ARC REHABILITATION CENTER, P.A.;
THOMAS F. ROBINSON, M.D.; CSCB
REHABILITATION MANAGEMENT
GROUP, LLC; and TIFFANY TERRY
DEFENDANTS
COUNTER-PLAINTIFFS
RESPONDENT
CHASE STEPPIG
ORDER
The Court received the attached note and cover letter from
Steppig with the motion to compel, Ng 199.
So Ordered.
(/
D.P. Marshall Jr.
United States District Judge
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Chase L. Steppig
440 Louisiana Street, Suite 900
Houston, TX 77002
Phone 713-429-5208
June 6, 2018
Richard Shepard Arnold Courthouse
Honorable Judge D. P. Marshall
600 \,Yest Capitol, Room B 149
Little Rock, AR 72201
RE: CASE NO : 4: 17-CV-520-DPM
Your Honor:
In the June 4, 2018, hearing al I parties attorneys were able to make
statements regarding the Plaintiffs TRO. The parties were notified at 1:35pm CST
of a 2:00pm CST telephone hearing. John Buzbee emailed me notice of the
hearing on June 4, 2018, at 2:00pm CST and I did not check my emails unti l after
the hearing was over.
From what Mr. Buzbee told me after the telephone hearing. The bulk of the
discussion and a majority of the TRO revolves around me individually which, I am
prose in this matter. In an effort to reduce future involvement of the Court and
avoid having yet another preliminary injunction hearing. f kindly ask the Court to
allow me approximately 15 minutes after the show cause hearing to speak to the
Court regarding my response to the Plaintiffs TRO and to ask for clarification on
several items so, the parties can have a clear understanding and to avoid future
unnecessary involvement of the Court. The Court has already made its ruling on
the TRO and there is absolutely no reason for witnesses to be called . I anticipate
that the Plaintiffs will use this opportunity to go on yet another fishing expedition
and call witnesses. The Court has already made its rulin g and hopefully, the Court
wi ll not allow the Plaintiffs to go on another fishing expedition.
The past few hearings have had a tendency to run significantly longer than
anticipated. 1 need to be at the airport at approximately 4:30pm and would ask the
Court to grant each side a specific amount of time and not allow anything over the
allotted time.
Respectfully Submitted,
Chase Steppig
CC: John Buzbee (via email)
CC: James Rankin (via email)
CC: Luther Suttor (via email)
CC: Bryce Brewer (via email
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