Almer v. Peanut Corporation of America

Filing 1094

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Almer v. Peanut Corporation of America Doc. 1094 UNITED STATES DISTRICT COURT DISTRICT OF MINNESOTA _____________________________ In re: GUIDANT CORP. IMPLANTABLE DEFIBRILLATORS PRODUCTS LIABILITY LITIGATION _____________________________ This document relates to the following cases: 06-cv-3566; Kenneth Boring, et. al. v. Guidant Corporation, et. al. 06-cv-3566; Ronald Stafford, et. al. v. Guidant Corporation, et. al. 06-cv-3566; Reinaldo Abraham, et. al. v. Guidant Corporation, et. al. 06-cv-3566; John Beal, et. al. v. Guidant Corporation, et. al. 06-cv-3566; Walter Davis, et. al. v. Guidant Corporation, et. al. 06-cv-3566; Paul Leoncini, et. al. v. Guidant Corporation, et. al. STATUS OF POSSESSION OF PLAINTIFFS' DEVICES PURSUANT TO ORDER MODIFYING PRETRIAL ORDER NUMBER 15 1. Plaintiff Kenneth Boring's device was removed on October 2, 2006. MDL No. 05-1708 (DWF/AJB) Plaintiff has forwarded the device to Ronald S. Goldser, Esq., Zimmerman Reed, 651 Nicollet Mall, Suite 501, Minneapolis, Minnesota 55402-4123. 2. Plaintiff Ronald Stafford's device was removed on November 1, 2004. Plaintiff has forwarded the device to Ronald S. Goldser, Esq., Zimmerman Reed, 651 Nicollet Mall, Suite 501, Minneapolis, Minnesota 55402-4123. 3. Plaintiff Reinaldo Abraham's device was removed on November 28, 2005 at Aventura Hospital in Aventura, Florida. Plaintiff does not have possession of the device and does not know the current location of the device. 4. Plaintiff John Beal's device was removed on July 18, 2005. Plaintiff has forwarded the device to Ronald S. Goldser, Esq., Zimmerman Reed, 651 Nicollet Mall, Suite 501, Minneapolis, Minnesota 55402-4123. Dockets.Justia.com 5. Plaintiff Walter Davis's device was removed on July 19, 2005 at Rhode Island Hospital in Providence, Rhode Island. Plaintiff does not have possession of the device and the current location of the device is unknown. 6. Plaintiff Paul Leoncini's device was removed on August 22, 2005 at Jefferson Regional Medical Center in Pittsburgh, Pennsylvania. Plaintiff does not have possession of the device and the current location of the device is unknown. Date: January 10, 2007 Respectfully submitted, SimmonsCooper LLC /s/ John P. Wagner John P. Wagner Minnesota Bar # 0387159 707 Berkshire Blvd., P.O. Box 521 East Alton, IL 62024 Tel. (618) 259-2222 Fax (618) 259-2251 jwagner@simmonscooper.com CERTIFICATE OF SERVICE I hereby certify that on January 10, 2007 I caused a true and correct copy of the foregoing STATUS OF POSSESSION OF PLAINTIFFS' DEVICES to be electronically filed and served through the Court's CM/ECF system with electronic notification served upon all counsel of record. Via first class mail: Ronald S. Goldser, Esq. Zimmerman Reed 651 Nicollet Mall-Suite 501 Minneapolis, MN 55402 Joseph Price, Esq. Faegre and Benson 2200 Wells Fargo Tower 90 South Seventh Street Minneapolis, MN 55403 Timothy Pratt, Esq. Shook Hardy & Bacon, LLP 2555 Grand Blvd. Kansas City, MO 64108 /s/ John P. Wagner John P. Wagner Minnesota Bar # 0387159

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