Local 705 International Brotherhood of Teamsters Health and Welfare Fund et al v. Adegbemi

Filing 12

MOTION by Plaintiffs Juan Campos, Gregory R. Foster, William Keenan, John Naughton, Local 705 International Brotherhood of Teamsters Health and Welfare Fund, Stephen E. Pocztowski, Phillip D. Stanoch, Local 705 International Brotherhood Of Teamsters Pension Fund, Joseph Bakes, Stephen F.G. Bridge for entry of default, MOTION by Plaintiffs Juan Campos, Gregory R. Foster, William Keenan, John Naughton, Local 705 International Brotherhood of Teamsters Health and Welfare Fund, Stephen E. Pocztowski, Phillip D. Stanoch, Local 705 International Brotherhood Of Teamsters Pension Fund, Joseph Bakes, Stephen F.G. Bridge for judgment (Attachments: # 1 Exhibit)(Chapman, Catherine)

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IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION LOCAL 705 INTERNATIONAL BROTHERHOOD ) OF TEAMSTERS HEALTH AND WELFARE ) FUND, et al., ) ) Plaintiffs, ) ) v. ) ) ) ADEKUNLE A. ADEGBEMI, ) Defendant. ) CIVIL ACTION NO. 08 C 4083 JUDGE JOAN H. LEFKOW MOTION FOR ENTRY OF DEFAULT AND JUDGMENT NOW COME Plaintiffs, LOCAL 705 INTERNATIONAL BROTHERHOOD OF TEAMSTERS HEALTH AND WELFARE FUND, et al., by their attorneys, and move for entry of judgment by default against Defendant, ADEKUNLE A. ADEGBEMI, in the total amount of $20,888.10, plus Plaintiffs' costs of action. On July 26, 2008, the Summons and Complaint was served on the Defendant by tendering a copy of said documents to him personally, at his residence (a copy of the Summons and Affidavit of Service is attached hereto). Therefore, Defendant's answer was due on August 15, 2008. As Defendant has failed to timely answer the Complaint, Plaintiffs respectfully request entry of default and judgment. /s/ Catherine M. Chapman CERTIFICATE OF SERVICE The undersigned, an attorney of record, hereby certifies that she electronically filed the foregoing document (Motion for Entry of Default and Judgment) with the Clerk of Court using the CM/ECF system, and further certifies that I have mailed the above-referenced document by United States Mail to the following non-CM/ECF participant on or before the hour of 5:00 p.m. this 18th day of September 2008: Mr. Adekunle A. Adegbemi 801 Mackinaw Calumet City, IL 60409 /s/ Catherine M. Chapman Catherine M. Chapman Attorney for Plaintiffs BAUM SIGMAN AUERBACH & NEUMAN, LTD. 200 W. Adams Street, Suite 2200 Chicago, IL 60606-5231 Bar No.: 6204026 Telephone: 312/236-4316 Facsimile: 312/236-0241 E-mail: cchapman@baumsigman.com I:\705w\Subro\Adegbemi\motion for default judgment.cmc.df.wpd

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