Filing 9

CONSENT ORDER vacating default; withdrawing 6 Motion for Default Judgment and extending time to answer. Signed by Magistrate Judge Ann Marie Donio on 1/6/2021. (tf, )

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Case 1:20-cv-13603-RBK-AMD Document 9 Filed 01/07/21 Page 1 of 2 PageID: 31 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW JERSEY DANA BLAKE Plaintiff, v. ALSTOM TRANSPORTATION, INC. Defendant. : : : : : : : : : CIVIL ACTION CASE NO. 20-13603-RBK-AMD CONSENT ORDER TO VACATE DEFAULT, WITHDRAW MOTION FOR ENTRY OF DEFAULT JUDGMENT AND EXTENDING TIME TO ANSWER THIS MATTER having been opened to the Court upon submission of Ward Greenberg Heller & Reidy LLP (Daniel M. Young, Esquire) attorneys for Defendant Alstom Transportation, Inc., on application to vacate the default entered against Alstom Transportation, Inc. and to permit Defendant to file an Answer to the Complaint, and with the consent of Plaintiff, by and through his attorneys Sidney L. Gold & Assoc., P.C. (Jamie L. Ford, Esquire) to the form and entry of this Order, and good cause having been shown by the parties pursuant to Fed. R. Civ. Pro. 55(a) and Fed. R. Civ. Pro. 60(b)(6), 6th IT IS on this ______ day of ________, 2021, ORDERED that the default entered on January November 12, 2020 is hereby vacated (ECF Doc. No 5); and Plaintiff’s Motion for Default Judgment returnable January 19, 2021 (ECF Doc. No. 6) is hereby withdrawn by Plaintiff; and Defendant Alstom Transportation, Inc. is hereby allowed to file a late Answer or otherwise defend in the above matter within fourteen (14) days of electronic filing of this Consent Order by the Court; and it is Case 1:20-cv-13603-RBK-AMD Document 9 Filed 01/07/21 Page 2 of 2 PageID: 32 FURTHER ORDERED that service of the within Order on all parties shall be deemed effective upon electronic filing by the Court. ________________________ Ann Marie Donio United States Magistrate Judge We hereby consent to the entry of the above Order. SIDNEY L. GOLD & ASSOC., P.C. By: /s/ Jamie L. Ford Jamie L. Ford, Esquire 1835 Market Street, Ste. 515 Philadelphia, PA 19103 Phone: (215) 569-1999 Fax: (215) 569-3870 Attorneys for Plaintiff Dana Blake Dated: January 6, 2021 WARD GREENBERG HELLER & REIDY LLP By: /s/ Daniel M. Young Daniel M. Young, Esquire 701 East Gate Drive, Suite 220 Mt. Laurel, New Jersey 08054 Phone: (856) 866-8920 Fax: (856) 866-8761 Attorneys for Defendant Alstom Transportation, Inc. Dated: January 6, 2021 2

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