Illinois Centeal Railroad, d/b/a CN v. GIM Transport Inc.
MOTION by Plaintiff Illinois Central Railroad Company for judgment by default (Attachments: # 1 Affidavit Amount Due and Non-Military Service, # 2 Text of Proposed Order, # 3 Certificate of Service)(Fiorilla, John)
UNITED STATES DISTRICT COURT
FOR THE NORTHERN DISTRICT OF ILLINOIS
ILLINOIS CENTRAL RAILROAD
COMPANY, d/b/a CN,
: CASE NO. 1:17-CV-03518
GIM TRANSPORT, INC., an Illinois
CERTIFICATION OF SERVICE OF MOTION
FOR ORDER FOR ENTRY OF DEFAULT JUDGMENT
I, John K. Fiorilla, Esq., hereby certify as follows:
On the 10th day of July, 2017, I caused to be deposited in the United States Mail at Mt.
Laurel, New Jersey, via regular mail and certified mail return receipt requested, with postage
thereon prepaid, sealed envelopes containing copies of the foregoing Notice of Motion, Motion,
Certification in Support of Motion, Proposed Order and Certification of Service directed to the
GIM TRANSPORT, INC., 922 Gael Drive, Joliet, IL 60435
I hereby certify that the foregoing statements made by me are true. I am aware that if any
of the foregoing statements made by me are willfully false, I am subject to punishment.
July 10, 2017.
CAPEHART & SCATCHARD, P.A.
A Professional Corporation
Attorneys for Wisconsin Central Ltd.
By:___s/ John K. Fiorilla____________________
John K. Fiorilla, Esq. #6463
8000 Midlantic Drive, Suite 300 S
Mount Laurel, N.J. 08054
Tel: (856) 914-2054
Fax: (856) 235-2786
Richard M. Kates, Esq. (#1411438)
Attorney for Wisconsin Central Ltd.
111 W. Washington Street – Suite 1900
Chicago IL 60602
Tel: (312) 236-0267
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