MOFFAT v. ASTRAZENECA et al

Filing 13

OPINION & ORDER OF DISMISSAL pursuant to CMO No. 60. Signed by Judge Claire C. Cecchi on 4/24/2023. (krg, )

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Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 1 of 30 PageID: 210 NOT FOR PUBLICATION UNITED STATES DISTRICT COURT DISTRICT OF NEW JERSEY IN RE: PROTON-PUMP INHIBITOR PRODUCTS LIABILITY LITIGATION This Document Relates to: All cases listed in Exhibit A 2:17-MD-2789 (CCC)(LDW) (MDL 2789) OPINION AND ORDER CECCHI, District Judge. I. Introduction This matter comes before the Court upon Case Management Order (“CMO”) No. 60, ECF No. 709, entered on November 19, 2021, which identified 962 cases in which Pfizer, Inc. 1 (“Pfizer”) alleged that service of the summons and complaint had not been effected and in which no proof of service appeared on the docket of the case. CMO No. 60 ordered the plaintiffs in those cases within thirty days to (1) establish that service was effected on Pfizer as required by Rule 4(m) of the Federal Rules of Civil Procedure 2 by filing proof of service, (2) voluntarily dismiss Pfizer, or (3) show cause why Pfizer should not be dismissed within thirty days of entry of the Order. CMO No. 60, at 2, ECF No. 709. CMO No. 60 ordered Plaintiffs to file their responses on the dockets of the individual cases, and permitted Pfizer to oppose within thirty days of each plaintiff’s response. 3 Plaintiffs were specifically advised that “[f]ailure to comply with the terms of this Order will result in the dismissal of the case as to Pfizer.” CMO No. 60, at 2. 1 Sometimes identified as Pfiser, Inc. All references to Rules herein are to the Federal Rules of Civil Procedure. 3 At the request of the parties, the deadline for plaintiffs to file responses to CMO No. 60 was extended to March 31, 2022, and then June 30, 2022. See CMO No. 67, at § I.D, ECF No. 747; CMO No. 70, at ¶ B, ECF No. 769. The deadline for Pfizer to oppose each plaintiff’s response was extended to May 15, 2022, then August 16, 2022, and then to October 17, 2022. See CMO No. 67, at § I.D, ECF No. 747; CMO No. 70, at ¶ B, ECF No. 769; CMO No. 78, at ¶ A, ECF No. 841. 2 1 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 2 of 30 PageID: 211 II. Legal Standard Rule 4 governs the requirements regarding serving a summons. In particular, Rule 4(m) requires that “[i]f a defendant is not served 90 days after the complaint is filed, the court – on motion or on its own after notice to plaintiff – must dismiss the action without prejudice against that defendant or order that service be made within a specified time. But if the plaintiff shows good cause for the failure, the court must extend the time for service for an appropriate period.” Fed. R. Civ. P. 4(m). In the Third Circuit, establishing good cause requires a “demonstration of good faith on the part of a party seeking an enlargement and some reasonable basis for noncompliance with the time specified in the rules.” MCI Telecomms. Corp. v. Teleconcepts, Inc., 71 F.3d 1086, 1097 (3d Cir. 1995). 4 In the absence of a showing of good cause for failure timely to effect service, the Court has discretion either to dismiss a case or permit an extension. Id. at 1098 (citing Petrucelli v. Bohringer & Ratzinger, 46 F.3d 1298, 1305 (3d Cir. 1995)). It is the plaintiff’s burden to demonstrate good cause for such failure to effectuate timely service or to persuade the Court to exercise its discretion and not dismiss Pfizer from their cases. Spence v. Lahood, No. 11-3972, 2012 U.S. Dist. LEXIS 80015, at *15 (D.N.J. June 8, 2012) (citing McCurdy v. Am. Bd. of Plastic Surgery, 157 F.3d 191, 196 (3d Cir. 1998)). III. Discussion As stated above, CMO No. 60 ordered the identified plaintiffs within thirty days to either establish that service was properly effectuated pursuant to Rule 4(m), voluntarily dismiss Pfizer, 4 Plaintiffs note that the version of Rule 4 quoted in MCI Telecomms is no longer applicable after an amendment in 1993. The amendment removed “good cause” as an absolute prerequisite for an extension of service. However, as explained above, the good cause standard still exists in Rule 4(m). The amendment merely allows courts, in the absence of good cause, to exercise their discretion to allow an extension if the circumstances warrant. Notably, the Court’s Opinion and Order here is based on the current version of Rule 4(m). 2 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 3 of 30 PageID: 212 or show cause why Pfizer should not be dismissed. CMO No. 60 did not provide these plaintiffs with an extension of time to serve the Complaint, instead, it directed Plaintiffs to prove that service had in fact been effectuated or to “show cause why Pfizer should not be dismissed.” The 640 plaintiffs in the cases identified on Exhibit A herein (“Plaintiffs”) have failed to satisfy the requirements of CMO No. 60. Plaintiffs do not claim to have timely served Pfizer and fail to show cause why these cases should proceed despite their lack of compliance with Rule 4(m). See CMO No. 7, at § II.D (“Absent agreement of the parties or subsequent Order of the Court, service of process shall be effectuated as required under Rule 4 of the Federal Rules of Civil Procedure.”). Pfizer did not agree to any modifications to service procedures from those set forth in the Federal Rules of Civil Procedure. Pfizer did not agree to accept service via e-mail, nor did it agree to receive waivers of service via e-mail. Cf. CMO No. 7, at § II.D, ECF No. 112; CMO No. 27, at § I.D, ECF No. 260; CMO No. 32, ECF No. 396; CMO No. 79, ECF No. 842. Of the 640 cases at issue here, Plaintiffs and Pfizer agree that Pfizer had not been served at all in 61 of them. In the other 579 cases, Plaintiffs concede that Pfizer was served only after CMO No. 60 was entered. Of the 579 cases where one or both of the parties assert that Pfizer was served after CMO No. 60 (and utilizing the earlier purported date of service in the event that the parties did not agree on the date of service), service was made between one to two years after the ninetyday period in Rule 4(m) in 41 cases; between two to three years after the ninety-day period in 80 cases; and between three to just over four years after the ninety-day period in 458 cases. No Plaintiff here has dismissed Pfizer from their case. Accordingly, due to untimely service and lack of good cause shown, it is appropriate that Pfizer be dismissed from the cases identified in Exhibit A. a. Plaintiffs Do Not Demonstrate Good Cause Mandating an Extension of Time to Serve 3 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 4 of 30 PageID: 213 Plaintiffs’ responses to CMO No. 60 do not demonstrate good cause excusing their lack of timely service pursuant to Rule 4(m). Good cause requires “a demonstration of good faith on the part of the party seeking an enlargement . . . and some reasonable basis for noncompliance with the time specified in the rules.” MCI Telecomms. Corp., 71 F.3d at 1097. To determine whether good cause exists, the Court considers “(1) reasonableness of plaintiff’s efforts to serve (2) prejudice to the defendant by lack of timely service and (3) whether plaintiff moved for an enlargement of time to serve.” Id. The primary focus must always be on “the plaintiff’s reasons for not complying with the time limit in the first place.” Id. Yet here, Plaintiffs have not even attempted to show good cause for their failure to timely serve or addressed the reasons for untimeliness. See, e.g., Pl. Allen Pyne’s Resp. to Orders to Show Cause Regarding Service of Process, Ex. A, No. 2:18-cv-06938, ECF No. 10-1 (“Pyne Resp.”). Accordingly, as the Court further explains, Plaintiffs have failed to demonstrate good cause for failure to timely serve in compliance with Rule 4(m). As an initial matter, the Court notes that Plaintiffs responded to CMO No. 60 by filing virtually identical responses that do not reference Pfizer’s specific conduct. These responses attached an exhibit with limited information about the Plaintiffs’ individual cases, but did not include any documentation to support their assertions in the exhibit. The information in these exhibits filed by Plaintiffs includes such information as the date of alleged service (if any), whether a defendant had filed a notice of appearance, whether a defendant had filed a short form answer, whether a Plaintiff Fact Sheet had been uploaded to Marker Group, whether a Defense Fact Sheet had been served, and whether a defendant had sent a deficiency letter related to the Plaintiff Fact Sheet. See, e.g., Pyne Resp.; Nancy Hignite’s Resp. to Order to Show Cause Regarding Service of Process, No. 2:18-cv-02649, ECF No. 12 (“Hignite Resp.”). In addition, Plaintiffs’ briefing does 4 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 5 of 30 PageID: 214 not address any reasons for the failure to timely serve and instead focuses on arguments concerning Pfizer’s purported waiver of service and the Court’s authority for discretionary extensions. See Houser v. Williams, No. 16-9072, 2020 U.S. Dist. LEXIS 43518, at *6 (D.N.J. Mar. 12, 2020) (citing MCI Telecomms. Corp., 71 F.3d at 1097) (finding dismissal warranted where plaintiff did not serve the complaint for months after an agreed-upon extension and then failed to detail any steps he took towards serving defendant within the extended time afforded by the court). Turning to the factors for evaluating good cause, the first factor examines the reasonableness of the plaintiff’s efforts to serve the complaint. As noted, Plaintiffs offer no explanation for the failure to timely serve, nor an adequate description of reasonable steps that plaintiffs took to effectuate timely service as required by Rule 4(m). And none of the Plaintiffs at issue here were close to satisfying timely service under Rule 4(m). As previously stated, in 579 cases, service was effected at least one year after the ninety-day period under Rule 4(m) had lapsed; in 458 of the 579 cases, or 79 percent, service was effected over three years after the ninety-day period under Rule 4(m) had lapsed. The 61 Plaintiffs who have never served Pfizer also did not provide any explanation justifying why they have yet to serve Pfizer. Given Plaintiffs’ lack of sufficient efforts to serve the complaint, this factor weighs heavily in favor of Pfizer. Under the second factor, the Court considers prejudice to Pfizer by lack of timely service. Here, Plaintiffs’ failure to serve caused Pfizer to expend time and resources through investigation, consultation with opposing counsel, and advocating for and responding to case management orders – all to determine whether Plaintiffs intended to pursue litigation against them. W. Coasts Quartz Corp. v. M.E.C. Tech, Inc., 2017 WL 1944197, at *2 (D.N.J. May 9, 2017). Moreover, this Court has previously determined that Pfizer has been prejudiced by the delayed service or non-service. See Order Regarding CMO No. 60, at 7, ECF No. 887. Given the prejudice to Pfizer resulting 5 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 6 of 30 PageID: 215 from Plaintiffs’ failure to timely serve, this factor cuts against good cause. Even if Plaintiffs had demonstrated lack of prejudice to Pfizer, “absence of prejudice alone can never constitute good cause to excuse late service.” MCI Telecomms Corp., 71 F.3d at 1097. Finally, under the third factor, while Plaintiffs have now requested an extension of time to serve Pfizer, they did so only after CMO No. 60 was entered, which was a year or more after the time to serve Pfizer in compliance with Rule 4(m) had lapsed. See, e.g., Pyne Resp.; Hignite Resp. Plaintiffs have not explained why they did not request an extension of time to serve Pfizer until after CMO No. 60 was entered by this Court. Accordingly, this factor similarly weighs in favor of Pfizer and against Plaintiffs’ showing of good cause. Considering the three factors used to evaluate whether good cause has been demonstrated, Plaintiffs here have not demonstrated good cause for their failure to serve Pfizer in compliance with Rule 4(m). b. Plaintiffs Have Not Persuaded the Court That a Discretionary Extension is Warranted In the absence of a showing of good cause mandating an extension to effectuate service, the Court nonetheless has discretion to either dismiss the case or permit extension. Because Plaintiffs have not established good cause, see supra, they must rely on the Court’s discretionary authority to excuse failures to comply with Rule 4(m). See Edwards v. Hillman, 849 F. App’x. 23, 25 (3d Cir. 2021) (citing Petrucelli, 46 F.3d at 1305). The Court’s exercise of discretion in this area is guided by various factors, including: “actual notice of the legal action; prejudice to the defendant; the statute of limitations on the underlying causes of action; the conduct of the defendant; and whether the plaintiff is represented by counsel, in addition to any other factor that may be relevant.” Chiang v. U.S. Small Bus. Admin., 331 Fed. App’x 113, 116 (3d Cir. 2009); see also Spence, 2012 U.S. Dist. LEXIS 80015, at *15. Here, considering these factors, Plaintiffs have 6 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 7 of 30 PageID: 216 not met their burden in persuading the Court that such discretion should be exercised under these circumstances. With respect to the first factor—actual notice of the legal action—Plaintiffs argue that Pfizer was on notice of their claims through their tolling agreement, which provided Plaintiffs time to obtain information about their claims before filing a complaint. 5 However, the fact that a plaintiff was on the tolling agreement and may potentially bring a claim against Pfizer or another defendant does not mean that Pfizer had actual legal notice that a particular plaintiff would be pursuing his or her claim against Pfizer in a legal action. In re Asbestos Prod. Liab. Litig. (No. VI), upon which Plaintiffs rely for their argument that a court may extend the time for proper service if the defendant had “actual notice of the pending action,” is instructive. 2014 WL 1903904, at *1 (E.D. Pa., May 12, 2014); see Pyne Resp. at 10 (citing Asbestos). The issue there concerned the appropriateness of a specific method of service by mail under Ohio law—not untimely service that occurred anywhere from one to four years past the Rule 4(m) deadline. Notably, the court found that the defendants were on “actual legal notice” of the pending action because the plaintiffs provided proof of a green card signed by the defendant, evidencing receipt of the original process papers by defendants’ counsel, which the court found acceptable under Ohio state law. Asbestos, 2014 WL 1903904, at *1. By contrast, Plaintiffs here have not offered any similar evidence of actual notice. Indeed, as Pfizer argues, the tolling 5 In June 2018, the parties entered into a tolling agreement concerning the statute of limitations. In order to obtain the benefit of tolling under the tolling agreement, a claimant had to provide the following information to all defendants: name and date of birth of the PPI user, name(s) of any derivative claimant(s), city and state of residence, date of first PPI use, date of last PPI use, alleged injury, and name of claimant’s counsel. The Plaintiffs’ Steering Committee was to compile this information and submit it to the defendants on an Excel spreadsheet on a monthly basis. See Stip. Regarding Tolling of Stats. of Lims., ECF No. 232, at 1-2. The data required to be provided to all defendants in the tolling agreement did not identify specific defendants whose product(s) were allegedly used by individual plaintiffs. 7 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 8 of 30 PageID: 217 agreement “covered Plaintiffs who could not yet show proof of use as to a Pfizer product” and, moreover, did not identify a specific defendant or which PPI products were at issue as to a particular potential plaintiff. See, e.g., No. 18-cv-04095, ECF No. 19 at 10 n.3. Therefore, Plaintiffs’ reliance on Asbestos is misplaced and they have not demonstrated that Pfizer had actual notice of pending litigation. Turning to prejudice to the defendant—the second factor—the Court reiterates its analysis when discussing the same factor in the context of good cause. See supra III.a (noting Pfizer expended time and resources through its repeated attempts to determine whether Plaintiffs intended to pursue litigation against them, including its own independent inquiries, as well as meetings with counsel and the special master). Further, this Court has previously found in this MDL (with respect to a different defendant) that “[w]asted time and resources and inconvenience standing alone may constitute sufficient prejudice to warrant dismissal.” CMO No. 63 at 7 (citing Miller v. Advocare, LLC, No. 12-01069, 2013 U.S. Dist. LEXIS 71451, at *8-9 (D.N.J. May 21, 2013). Accordingly, this factor weighs against Plaintiffs’ request. Regarding the statute of limitations, the third factor, Plaintiffs argue that the applicable statute of limitations in most, if not all, of the actions subject to CMO No. 60 has expired. See, e.g., Pyne Resp. at 21. However, “the expiration of the statute of limitations does not require the court to extend the time for service, as the court has discretion to dismiss the case even if the refiling of the action is barred.” MCI Telecomms. Corp., 71 F.3d at 1098. Given the length of time between filing and service in the cases of these Plaintiffs—in some cases over four years— Plaintiffs’ argument that the potential lapse of the statute of limitations warrants extension is not compelling. Relatedly, Plaintiffs have not alleged that Pfizer engaged in any conduct to impede or 8 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 9 of 30 PageID: 218 frustrate timely service. See Spence, 2012 U.S. Dist. LEXIS 80015, at *15 (fourth factor). These factors thus militate against a discretionary extension as well. The final factor guiding the Court’s discretion examines whether the plaintiff is represented by counsel. See Spence, 2012 U.S. Dist. LEXIS 80015, at *15. Plaintiffs here are all represented by counsel. And, in this context, “[e]ven when delay [in service] results from inadvertence of counsel, it need not be excused.” Petrucelli, 46 F.3d at 1307. This factor thus also weighs against a discretionary extension. Weighing all of the above factors, the Court is not persuaded that exercising its discretion to grant an extension to effectuate service on Pfizer is warranted. Moreover, in addition to the factors counseling against an extension, the Court’s conclusion is further supported by Plaintiffs’ failure to provide an explanation as to why they did not timely serve Pfizer (in the 579 cases where service was late) or why they did not serve Pfizer at all (in the remaining 61 cases). 6 c. Plaintiffs Have Not Shown that Pfizer Waived its Defense to Untimely Service Plaintiffs generally assert that Pfizer waived any defense related to untimely service by virtue of its conduct in this MDL litigation. Plaintiffs argue that dismissal of their claims against Pfizer is inappropriate in those cases where (1) Pfizer either filed an answer without raising service or answered before service; (2) Pfizer filed a motion to dismiss without raising service; or (3) Pfizer manifested some intention to defend the case through Pfizer’s conduct. See, e.g., Pyne 6 Pfizer also argues that because Plaintiffs did not address their reasons for untimely service (and instead relied chiefly on arguments concerning waiver), Plaintiffs’ reply to CMO 60 failed to comply with a court order, requiring dismissal of their cases on that independent basis. . See, e.g., No. 2:18-cv-04095, ECF No. 19 at 6. Pfizer cites certain Poulis factors to support this argument. Id. at 10. As explained above, the Court has considered Plaintiffs’ lack of an explanation in its discussion of Rule 4(m) and discretionary extensions. 9 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 10 of 30 PageID: 219 Respo. at § IV.B; Hignite Resp. at § IV.B. For the below reasons, the Court finds that Pfizer has not waived its defense to untimely service. The Court first turns to Plaintiffs’ argument that Pfizer waived service either by filing an answer without raising service or by answering before service. Plaintiffs assert that, as a general matter, waiver of service may occur where a defendant files an answer as its first responsive pleading and the answer fails to plead the defense. See, e.g., Pyne Resp. at 7. Accordingly, Plaintiffs argue that there are three potential scenarios where service has been waived by answer. First, Plaintiffs claim that in any case where Pfizer filed a short form answer, service was waived because the short form answer simply incorporated Pfizer’s initial long form answer. This, Plaintiffs maintain, is because the long form answer did not assert the defense of lack of service. See, e.g., id. Second, since a defendant’s notice of appearance in a specific case may serve as a short form answer, see Case Management Order No. 27 (ECF No. 260), Plaintiffs contend that a notice of appearance after service is functionally the same as a short form answer—it incorporates the long form answer, which does not assert the defense of lack of service. Finally, Plaintiffs argue that a notice of appearance before service waives this defense under the terms of Case Management Order No. 27 for cases filed after September 24, 2018. See, e.g., Pyne Resp. at 8; see also CMO No. 27, at § I.A. Regardless of the merits of these arguments as a matter of law, none of these scenarios are applicable to Pfizer here. Only two Plaintiffs in the cases identified in Exhibit A assert that a “Defendant” actually filed an answer or filed a notice of appearance in their case, but the dockets in those two cases clearly reflect that Pfizer did not file an answer or notice of appearance in those two cases. See Pl. Sharon Nali’s Resp. to Order to Show Cause, Ex. A, 2:18-cv-07667, ECF No. 14-1; Pl. Carol Presley’s Resp. to Order to Show Cause, Ex. A, 2:19-cv-16903, ECF No. 6-1. With 10 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 11 of 30 PageID: 220 these two Plaintiffs’ specific assertions contradicted by their dockets, none of the Plaintiffs identified in Exhibit A have shown that Pfizer either filed a short form answer or a notice of appearance. Thus, Plaintiffs’ arguments asserting waiver based on Pfizer’s answers (or appearances) do not apply here. Turning to Plaintiffs’ next argument, Plaintiffs assert that Pfizer waived its defense to lack of service in those cases where Pfizer filed a motion to dismiss for purported failure to comply with the tolling agreement without specifically raising the defense of service. However, Pfizer did not raise service in its motions to dismiss because an alternate procedure, proposed and agreed upon by the parties, was set forth in a stipulated court order, with their defenses expressly preserved by CMO No. 7. See CMO No. 7, ECF No. 112, at 7 (“Defendants also reserve all rights to move to dismiss . . . under Federal Rule of Civil Procedure Rule[] 12. Defendants shall only be permitted to file said motions to dismiss subject to leave of this Court.”). CMO No. 7 expressly restricted defendants from moving to dismiss individual plaintiffs under Rule 12 absent leave of this Court. The federal rules bar a defendant from later moving to dismiss for insufficient service of process only when the party “could have raised these objections in their [earlier] motion to dismiss the complaint.” Denkins v. William Penn Sch. Dist., No. 20-02228, 2020 WL 5880132, at *3 (E.D. Pa. Oct. 2, 2020); accord Wright & Miller, 5C Fed. Prac. & Proc. Civ. § 1391 (“If one or more of these defenses are omitted from the initial motion but were ‘then available’ to the movant, they are permanently lost.”). In filing its authorized dismissal motions pursuant to the tolling agreement and CMO No. 7, Pfizer did not have leave to raise any other defense, including insufficient service as to a particular case. Having understood and agreed that such motions were to be deferred to a later date and with leave of the Court, it is not correct that Pfizer, or any other defendant, waived 11 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 12 of 30 PageID: 221 its defense of service by failing to argue it in their motions to dismiss related to purported violations of the tolling agreement. Plaintiffs’ final argument on waiver is that Pfizer waived its defense of service through its conduct in the PPI litigation as a whole or in individual cases. As to the argument that Pfizer waived service through its conduct in the PPI litigation as a whole, plaintiffs rely on In re Cathode Ray Tube (CRT) Antitrust Litigation, No. 07-5944, 2014 U.S. Dist. LEXIS 78902 (N.D. Cal. June 9, 2014). In that case, certain defendants raised their Rule 12(b)(5) defense to service in a consolidated motion to dismiss, but subsequently abandoned that 12(b)(5) motion in a later filing and then continued to participate in litigation for four years. The court found that under these circumstances those defendants had waived their defense of lack of service. Id. at *84-88. The case is inapposite, however, as Pfizer never previously raised—and abandoned—the defense of service in any of the cases identified here, and indeed was unable to without leave of the Court under CMO No. 7, as agreed to by the parties. Additionally, Plaintiffs’ general response argues that Pfizer waived its defense of service by participating in the litigation of individual cases, citing In re: Ethicon, Inc., No. 2:13-cv-00758, 2016 U.S. Dist. LEXIS 148765 (S.D.W.V. Oct. 27, 2016). In that case, the defendants acknowledged receipt of a plaintiff profile form, requested additional information from the plaintiffs regarding their claims, and threatened to pursue a remedy in court if the plaintiff did not comply with their request. Id. at *6. While eighty-four Plaintiffs herein claim that they received a deficiency letter related to their Plaintiff Fact Sheet, they do not specifically allege whether Pfizer or another defendant sent that deficiency letter, nor did they include a copy of the deficiency letter in their response. Pfizer’s counsel has represented that Pfizer did not issue any Plaintiff Fact Sheet deficiency letters to the plaintiffs in the cases identified in Exhibit A hereto and that it has not 12 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 13 of 30 PageID: 222 threatened to pursue a judicial remedy if the plaintiff did not cure the deficiency. In short, none of these plaintiffs has actually demonstrated that Pfizer has meaningfully participated in the litigation in their particular case. Further, the Court rejects Plaintiffs’ suggestion to impute Pfizer’s conduct in defending itself in cases not subject to CMO No. 60 to suggest that Pfizer waived its defense of service of process in the specific cases identified in Exhibit A hereto. Plaintiffs also assert that Pfizer has waited too long to assert its defense of service. Plaintiffs rely on the Sixth Circuit’s decision in King v. Taylor; however, in that case, unlike here, the defendant actively litigated the case by filing a joint Rule 26(f) report, participating in depositions, seeking to extend discovery deadlines, and joining in a status report in that particular case, and only moved to dismiss for lack of service at the summary judgment stage. King v. Taylor, 694 F.3d 650, 659-61 (6th Cir. 2012). Here, however, none of the cases identified in Exhibit A is a Bellwether case or a Wave case and thus Pfizer has not participated in discovery in their individual cases like the defendant in Taylor did, and as noted previously, stipulated CMO No. 7 precluded Pfizer from filing a motion to dismiss for lack of service without leave of the Court. IV. Conclusion CMO No. 60 required Plaintiffs to (1) show they timely served Pfizer pursuant to Rule 4(m), (2) dismiss Pfizer from their case, or (3) show cause why this Court should not dismiss Pfizer from their cases. Plaintiffs whose cases are on Exhibit A have failed to meet their burden of demonstrating good cause for failure to comply with CMO No. 60 and effectuate timely service, and have failed to persuade the Court to exercise its discretion not to dismiss Pfizer from their 13 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 14 of 30 PageID: 223 cases. Accordingly, this Court denies Plaintiffs’ requests for extensions and orders Pfizer to be dismissed without prejudice from the cases identified in Exhibit A. 7 24 day of April, 2023; Accordingly, IT IS on this ______ ORDERED that Pfizer shall be DISMISSED without prejudice from the cases identified in Exhibit A hereto. SO ORDERED. CLAIRE C. CECCHI, U.S.D.J. 7 To the extent plaintiffs in the cases identified in Exhibit A hereto have raised in their briefing any arguments not expressly addressed herein, the Court has considered and rejected them. 14 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 15 of 30 PageID: 224 Exhibit A Plaintiff Name 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 Nancy Hignite James U. Hodges Ruthe A. Hensley Antonio D. Davis Misty Ashley David Frost Lester Hall and Ruth E. Hall Lynda D. McKibben Leonore L. Sosa Garrett Sons Todd K. Andrade Norman Kydd Della I. Gregg Denver Kennett John Ortiz Mike Moffat Laurie T. Lum Betty L. Sanner William Ketelsen Tia Hartmann Grady Harris Daniel Sharp Theresa Johnson Mary A. Williams Rayshell Robinson Deborah Allen Sharon Acevedo Patricia Bean Michael Barrett Judy K. Aiken Dale Bryan Tonya Bates-Wilson Donna J. Cushenberry Stella Benefiel Roosevelt Dunning Gloria Eddy Edgardo Biliran Emma Balthazar Antionette Borden Case No. 2:18-cv-02649 2:18-cv-02952 2:18-cv-03235 2:18-cv-03775 2:18-cv-03851 2:18-cv-03861 2:18-cv-03881 2:18-cv-03885 2:18-cv-03886 2:18-cv-03894 2:18-cv-04040 2:18-cv-04048 2:18-cv-04054 2:18-cv-04078 2:18-cv-04095 2:18-cv-04139 2:18-cv-04159 2:18-cv-04169 2:18-cv-04176 2:18-cv-04180 2:18-cv-04181 2:18-cv-04184 2:18-cv-04206 2:18-cv-04208 2:18-cv-04215 2:18-cv-04281 2:18-cv-04282 2:18-cv-04283 2:18-cv-04290 2:18-cv-04291 2:18-cv-04293 2:18-cv-04296 2:18-cv-04298 2:18-cv-04304 2:18-cv-04305 2:18-cv-04308 2:18-cv-04309 2:18-cv-04312 2:18-cv-04315 40 Shelley Hager, as Administrator of the Estate of Samuel Hager, Deceased 2:18-cv-04317 41 42 43 44 45 2:18-cv-04318 2:18-cv-04319 2:18-cv-04326 2:18-cv-04330 2:18-cv-04332 Anthony Elliott Kevin Casey George Curry Deloris Daniel Ricky Fisher Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 16 of 30 PageID: 225 Exhibit A 46 47 48 49 50 51 52 53 54 55 56 57 58 59 60 61 62 63 64 65 66 67 68 69 70 71 72 73 74 75 76 77 78 79 80 81 82 83 84 85 86 87 88 89 90 David D. Hopkins Dennis Ledford and Tracey Ledford Rozell Collins Cassandra Howard Patricia Cooper Leray Littell Tony Long Sandra Davis Robert Parham, Jr. Climmie Gibbons Teresa Harlen, as Proposed Representative of the Estate of Jack R. Harlen, Deceased Vivian Parker Heather P. Lott Virginia Rackins Otis D. Roberts Robert Ludlam, as Proposed Representative of the Estate of Aubie Ludlam, Deceased Jessie Martin Mary Hankamer Brenda R. Dale Kelly Smith Mary Haynes Betty Head Jerome Browning Clarence Mumma Beverly Bryant Jose Fronda Rolanda Allmon Constance Guardado Steve Slade Donell Andrews Joyce Watson Jeanette Williams Avis Hiestand Roger Mata Linda Bishop Darlene Mason Laura Raffa Scott Allen Max Holbrook and Joyce Holbrook Mildred Brock Unni Shelton Darwin Watson Terry Debruyn John M. Sierra Woodie G. Murphy 2:18-cv-04350 2:18-cv-04477 2:18-cv-04482 2:18-cv-04484 2:18-cv-04491 2:18-cv-04492 2:18-cv-04495 2:18-cv-04496 2:18-cv-04497 2:18-cv-04499 2:18-cv-04500 2:18-cv-04501 2:18-cv-04502 2:18-cv-04504 2:18-cv-04507 2:18-cv-04511 2:18-cv-04519 2:18-cv-04520 2:18-cv-04526 2:18-cv-04529 2:18-cv-04535 2:18-cv-04538 2:18-cv-04827 2:18-cv-04828 2:18-cv-04829 2:18-cv-04830 2:18-cv-04831 2:18-cv-04833 2:18-cv-04843 2:18-cv-04852 2:18-cv-04864 2:18-cv-04868 2:18-cv-04871 2:18-cv-04872 2:18-cv-04873 2:18-cv-04874 2:18-cv-04877 2:18-cv-04882 2:18-cv-04888 2:18-cv-04904 2:18-cv-04915 2:18-cv-04918 2:18-cv-04921 2:18-cv-04923 2:18-cv-04933 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 17 of 30 PageID: 226 Exhibit A 91 92 93 94 95 96 97 98 99 100 101 102 103 104 105 106 107 108 109 110 111 112 113 114 115 116 117 118 119 120 121 122 123 124 125 126 127 128 129 130 131 132 133 134 Oscar M. Chavez Priscilla Smeets Paula Ford Joseph Spurgeon and Sambra Spurgeon Roger Phillips Billie Martin Stinson Wanda Thomas Lorenzo Valenzuela Brenda Jo Lemley Helen Waddle Rodrick Whitaker Dawn Miller Robert Dryden Charla Mogg Maudell Palmer Fred L. Johns Danielle Newman, as Proposed Representative of the Estate of Jack F. Newman, Deceased Peggy S. Conley Dwight W. Graley, Sr. Scott Hannigan Birdie D. Jackson Rebecca M Oates David Pierce Teresa Byers Donald Gibson Michael Clarke and Maribeth Clarke Sandra Garrett Nancy L. Harsh Bryan G. Swanson Melvin Stubbs Jennifer Wolfe Sharon Powers Arthur D. Warshawsky Martha Burns Kyle Rose Jeffrey Jones Burma G. Sizemore Carmen Stevens Shirley Teel, as Proposed Representative of the Estate of Ezra C. Teel, Deceased James Wellman Dara Dougherty Sheryl Gerald Samantha Riddle Gwenda Steele 2:18-cv-04936 2:18-cv-04938 2:18-cv-04943 2:18-cv-04948 2:18-cv-05034 2:18-cv-05038 2:18-cv-05040 2:18-cv-05055 2:18-cv-05060 2:18-cv-05061 2:18-cv-05068 2:18-cv-05069 2:18-cv-05081 2:18-cv-05084 2:18-cv-05306 2:18-cv-05314 2:18-cv-05324 2:18-cv-05343 2:18-cv-05345 2:18-cv-05351 2:18-cv-05353 2:18-cv-05360 2:18-cv-05361 2:18-cv-05431 2:18-cv-05438 2:18-cv-05448 2:18-cv-05463 2:18-cv-05466 2:18-cv-05476 2:18-cv-05479 2:18-cv-05485 2:18-cv-05488 2:18-cv-05490 2:18-cv-05495 2:18-cv-05500 2:18-cv-05504 2:18-cv-05511 2:18-cv-05516 2:18-cv-05521 2:18-cv-05525 2:18-cv-05954 2:18-cv-05959 2:18-cv-05971 2:18-cv-05975 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 18 of 30 PageID: 227 Exhibit A 135 136 137 138 139 140 141 142 143 144 145 146 147 148 149 150 151 152 153 154 155 156 157 158 159 160 161 162 163 164 165 166 167 168 169 170 171 Barbara Gibson, as Proposed Representative of the Estate of Alta Gibson, Deceased George Hawkins Willie Anderson Mary Hollander Lance Faulkner Jeffrey Reed Sharon Reid Bartholomew Gaiera and Karen Gaiera Kathlene Brown Joni Barrows Rebecca Harrington Patricia Hasty Richard Jackson and Judy Fontenot Bonnie L. Mize Jackie Knight Tunya Lowe Patina Johnson Cristy Blankenship Johnny Daniels Emilee Palmer and Michael D. Palmer Travis Charlton, as Proposed Representative of the Estate of Cynthia Halbert, Deceased Nina Fernandez, as Proposed Representative of the Estate of Sanra Nobil, Deceased Elizabeth Prater Jerry Blosser, Individually and as Proposed Representative of the Estate of Wanda Blosser, Deceased Norma Stillwagoner Karen Keenan, Individually and as Proposed Representative of the Estate of Larry Keenan, Deceased Gina Zerby, Individully and as Proposed Representative of the Estate of Michael Zerby, Deceased Michelle Wilson Emilly Knotts, as Proposed Representative of the Estate of Cheryl Stefenel, Deceased Jacquelyn Booker Dianne Caldwell Leona Collins, Individually and as the Representative of the Estate of Deniese Collins, Deceased Patrick Connors Allen Pyne Gladys Maddox Johnnie Oliver Betty Bassett, Individually and as the Representative of the Estate of Robert Avera, Deceased 2:18-cv-05976 2:18-cv-05980 2:18-cv-06130 2:18-cv-06148 2:18-cv-06154 2:18-cv-06159 2:18-cv-06164 2:18-cv-06166 2:18-cv-06171 2:18-cv-06178 2:18-cv-06196 2:18-cv-06202 2:18-cv-06214 2:18-cv-06232 2:18-cv-06233 2:18-cv-06256 2:18-cv-06274 2:18-cv-06436 2:18-cv-06440 2:18-cv-06449 2:18-cv-06476 2:18-cv-06497 2:18-cv-06506 2:18-cv-06515 2:18-cv-06520 2:18-cv-06522 2:18-cv-06532 2:18-cv-06540 2:18-cv-06552 2:18-cv-06834 2:18-cv-06846 2:18-cv-06869 2:18-cv-06876 2:18-cv-06938 2:18-cv-06939 2:18-cv-06947 2:18-cv-06949 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 19 of 30 PageID: 228 Exhibit A 172 173 174 175 176 177 178 179 180 181 182 183 184 185 186 187 188 189 190 191 192 193 194 195 196 197 198 199 200 201 202 203 204 205 206 207 Charles Jones, as Proposed Representative of the Estate of Victoria Jones, deceased Danny Parker Patricia Parker Charles Howard Teresa Hill-Ibrahim Judy Bradshaw, Individually and as the Representative of the Estate of Jimmy Bradshaw, Deceased Victor Sackett Virginia Boyd Herbert Johnson Joan Stoveken, Individually and as the Representative of the Estate of Gay Stoveken, Deceased Angela Spicer, Individually and as the Representative of the Estate of James Spicer, Deceased Amanda Turner, Individually and as the Representative of the Estate of Ronal Turner, Deceased Jeanette Mouton Erick Barnes Tammy Perry Wendy Brazill Brenda Fletcher Nancy Esque Diane McGee, Individually and as the Representative of the Estate of Kevin McGee, Deceased George Gale Fabian Garcia, Individually and as the Representative of the Estate of Yolanda Montalvo, Deceased Joann Flowers, Individually and as the Representative of the Estate of Sophia Perkins, Deceased Thomas Russo Paul Lue, Individually and as the Representative of the Estate of Hyacinth Johnson, Deceased Ernestine Mays-Mitchell, Individually and as the Representative of the Estate of Ernest Mays, Deceased Birdie Woods Betty Apellido Pauline Corn Gloria Dietrich Walker Howell Stephanie Ralston-Bailey Laura Richie Regina Salisbury Mary Skeens Marlene Hatfield Sharon Nali 2:18-cv-06952 2:18-cv-06964 2:18-cv-06975 2:18-cv-06986 2:18-cv-07005 2:18-cv-07049 2:18-cv-07059 2:18-cv-07090 2:18-cv-07130 2:18-cv-07137 2:18-cv-07148 2:18-cv-07153 2:18-cv-07178 2:18-cv-07187 2:18-cv-07194 2:18-cv-07195 2:18-cv-07203 2:18-cv-07208 2:18-cv-07239 2:18-cv-07267 2:18-cv-07276 2:18-cv-07320 2:18-cv-07340 2:18-cv-07352 2:18-cv-07365 2:18-cv-07438 2:18-cv-07557 2:18-cv-07584 2:18-cv-07592 2:18-cv-07616 2:18-cv-07617 2:18-cv-07622 2:18-cv-07632 2:18-cv-07637 2:18-cv-07639 2:18-cv-07667 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 20 of 30 PageID: 229 Exhibit A 208 209 210 211 212 213 214 215 216 217 William Solis, Individually and as the Representative of the Estate of Aura Burgos, Deceased Ronald Klinenberg Luis Nesta Lorraine Turco Hazel Phillips Tracie Powers Mary Rivali, Individually and as the Representative of the Estate of Robert Rivali, Deceased Marilyn Sullivan, Individually and as the Representative of the Estate of Evelyn Sullivan, Deceased Bernadine Hardie Maribel Villanueva, Individually and as the Representative of the Estate of Alexander Rivera-Baez, Deceased 2:18-cv-07688 2:18-cv-07706 2:18-cv-07708 2:18-cv-07713 2:18-cv-07748 2:18-cv-07756 2:18-cv-07760 2:18-cv-07781 2:18-cv-07795 2:18-cv-07799 218 Karen Vassar, Representative of the Estate of Bobby Vassar, Deceased 2:18-cv-08722 219 220 221 222 2:19-cv-01061 2:19-cv-01813 2:19-cv-01853 2:19-cv-01859 223 224 225 226 227 228 229 230 231 232 233 234 235 236 237 238 239 240 241 242 243 244 245 246 Odilia Perez Dennis Quintin Martha Griffith William Hall Brenda Willis, Individually and as the Representative of the Estate of Seress Harris, Deceased Gloria Haywood Ruth Hurd Eric Hurwitz Patricia Joppien Paul Jozwiak George Bonis Raymond Bryant John Bottoms Cindy Campbell Colleen Cantwell Gladys Carpenter Brandon Cole Robert Crenshaw Wanda Crager Jason Daniels Luis Manuel Delgado, Individually and as the Representative of the Estate of Luis C. Delgado, Deceased Linda McMillen Odessa Mitchell Patricia Mitchell Charles Newsom Orestes Diaz Helmut Otto Darryl Oglesby, as Proposed Administrator of the Estate of Sandra Oglesby, Deceased 2:19-cv-01873 2:19-cv-01881 2:19-cv-01887 2:19-cv-01889 2:19-cv-01897 2:19-cv-01902 2:19-cv-01931 2:19-cv-01939 2:19-cv-01945 2:19-cv-01948 2:19-cv-01965 2:19-cv-01981 2:19-cv-02004 2:19-cv-02011 2:19-cv-02012 2:19-cv-02015 2:19-cv-02030 2:19-cv-02035 2:19-cv-02040 2:19-cv-02048 2:19-cv-02050 2:19-cv-02059 2:19-cv-02061 2:19-cv-02066 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 21 of 30 PageID: 230 Exhibit A 247 Charlotte Edgar Carey Bowie, Individually and as the Represenetative of the Estate of 248 Henry Bowie, Deceased Maria Edwards, Individually and as the Representative of the Estate of 249 Francisca Camacho, Deceased 250 Warren Ketchmore Juan Cantu, Individually and as the Representative of the Estate of 251 Margarita Cantu, Deceased 252 Juanita Landers 253 Karen Gaines Brenda McCurdy, Individually and as the Representative of the Estate of 254 Rickey McCurdy, Deceased 255 Bridgette Long Nettie Overton, Individually and as the Representative of the Estate of 256 Charlie Overton, Deceased 257 Glenda Long 258 Melissa Olson Raymond Wilson, Individually and as the Representative of the Estate of 259 Randy Orr, Deceased 260 Sandra Pannell 261 Priscille Parent 262 Lucretia Peavy 263 Mabel Perry 264 Glenna Pool 265 Debra Primrose Margaret Pryor, As the Representative of the Estate of Keith Pryor, 266 Deceased 267 Joyce Sheffield 268 Terry Sheffield 269 Carl Warner 270 Lionel Smith 271 Sherrie Abrahamson 272 Linda Stockwell 273 Diane Watkins 274 James Williams 275 Charles Wiley Belinda Beck, Individually and as the Administrator of the Estate of Willie 276 Taylor, Deceaed 277 Nathan Tyler Vivian Wittner, Individually and as the Representative of the Estate of 278 Myra Wittner, Deceased 279 Darwin Valentine Susan Lynn Wright, Individually and as the Representative of the Estate of 280 Tabitha Wright, Deceased 281 Donna Wooten Sharon Grady, as Proposed Representative of the Estate of Herbert Grady, 282 Deceased 2:19-cv-02074 2:19-cv-02086 2:19-cv-02092 2:19-cv-02102 2:19-cv-02104 2:19-cv-02127 2:19-cv-02136 2:19-cv-02143 2:19-cv-02159 2:19-cv-02174 2:19-cv-02175 2:19-cv-02204 2:19-cv-02239 2:19-cv-02246 2:19-cv-02261 2:19-cv-02275 2:19-cv-02318 2:19-cv-02335 2:19-cv-02356 2:19-cv-02367 2:19-cv-02377 2:19-cv-02386 2:19-cv-02456 2:19-cv-02464 2:19-cv-02469 2:19-cv-02475 2:19-cv-02484 2:19-cv-02487 2:19-cv-02493 2:19-cv-02519 2:19-cv-02523 2:19-cv-02531 2:19-cv-02547 2:19-cv-02577 2:19-cv-02586 2:19-cv-02669 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 22 of 30 PageID: 231 Exhibit A 283 Judy K. Freed 284 Connie Black 285 Laurie J Dey Esmeralda Olvera, As proposed Representative of the Estate of Santos 286 Olvera, deceased 287 Ernest J Palmer Cheryl Adams, as Proposed Representative of the Estate of Belle Collins, 288 Deceased 289 Angela Clark 290 George Reyes 291 Joe A. Gottwald 292 Matt Spasoff 293 Nancy Fennell 294 Merle Kirkland 295 Sheila Holmes 296 Brenda Y. Ridyolph 297 Cynthia Tucker 298 Rosetta T. Cunningham Michelle Denofa, as Proposed Representative of the Estate of Frank 299 Denofa, Deceased 300 Paul E. Dilocker 301 Ruth Edwards 302 Phillip Cottle 303 Jannie Gichia 304 Diana Greathouse Lena Turknett, as Proposed Representative of the Estate of Cecilia Gaines, 305 Deceased 306 Suzanne Coleman-Cunningham Betty Hunter, Individually and as the Representative of the Estate of 307 Thomas Hunter, Deceased 308 Noreen Davis-Xanthis 309 Juanita Mekwuye 310 Carla A. Dimatteo 311 Barbara Zajack 312 Jennifer Collins 313 Melissa Harris 314 Tracy Henderson 315 Linwood Flemister 316 James W. Franklin, Sr. 317 Keisha Kimbrough 318 Cynthia Lawhorn 319 Lynell Johnson 320 Michael Anthony Jones 321 Cara Kreider 322 Stephen C. McNeill Michael DePhillipo, Individually and as the Representative of the Estate of 323 Felice DePhillipo, Deceased 2:19-cv-02687 2:19-cv-02703 2:19-cv-02873 2:19-CV-02877 2:19-cv-02882 2:19-cv-02996 2:19-cv-03070 2:19-cv-03081 2:19-cv-03115 2:19-cv-03117 2:19-cv-03132 2:19-cv-03272 2:19-cv-03327 2:19-cv-03419 2:19-cv-03489 2:19-cv-03553 2:19-cv-03571 2:19-cv-03589 2:19-cv-03595 2:19-cv-03618 2:19-cv-03625 2:19-cv-03633 2:19-cv-03636 2:19-cv-03638 2:19-cv-03645 2:19-cv-03646 2:19-cv-03652 2:19-cv-03658 2:19-cv-03663 2:19-cv-03679 2:19-cv-03684 2:19-cv-03685 2:19-cv-03686 2:19-cv-03711 2:19-cv-03723 2:19-cv-03739 2:19-cv-03784 2:19-cv-03806 2:19-cv-03817 2:19-cv-03823 2:19-cv-03858 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 23 of 30 PageID: 232 Exhibit A 324 Tammy R. Phipps Melissa Konarski, Individually and as the Representative of the Estate of 325 Pamela Zaccardi, Deceased 326 Kevin M. Takacs 327 Anna B. Franks 328 Brandon R. Ward 329 Raymond A. Watson 330 Darren Williams 331 Belinda L. Laird 332 Anita Loudy 333 Sandra Detherage 334 Carol Rosenblum 335 Linda Barnett 336 Keith Ellery 337 Kerry Bland 338 Denise Garrette 339 Josette Schaffer John Danso, Individually and as the Representative of the Estate of Vickie 340 Danso, Deceased 341 Lawrence Lucerne 342 Sandra Mason 343 Beverly McCaleb 344 Karen E. Rawlings Veda McDonald-Rhodes, Individually and as the Representative of the 345 Estate of Andre McDonald, Deceased 346 Joanne Smith 347 Diane Wood 348 Terry L. Tharp 349 Donald Torgerson 350 Mary Burchett 351 Michael Bowen 352 Curtis Banks, Jr. 353 Catherine Antwine 354 Jackie L. Brown 355 Joseph A. Archer 356 Margie T. Bannister 357 Leta Bannon 358 Janice Weibley, on behalf of Elizabeth L. Boyd 359 Richard Bailey 360 Debra Bramblett 361 Brent Bregan 362 Renee E. Adkins 363 Damisha L. Bishop 364 Joe Alfieri 365 Shirley Bass 366 Alice Baxter 2:19-cv-03863 2:19-cv-03869 2:19-cv-03921 2:19-cv-03984 2:19-cv-03987 2:19-cv-04002 2:19-cv-04012 2:19-cv-04031 2:19-cv-04113 2:19-cv-04133 2:19-cv-04146 2:19-cv-04152 2:19-cv-04166 2:19-cv-04178 2:19-cv-04188 2:19-cv-04192 2:19-cv-04204 2:19-cv-04209 2:19-cv-04218 2:19-cv-04224 2:19-cv-04226 2:19-cv-04228 2:19-cv-04234 2:19-cv-04242 2:19-cv-04250 2:19-cv-04254 2:19-cv-04470 2:19-cv-04503 2:19-cv-04514 2:19-cv-04516 2:19-cv-04518 2:19-cv-04519 2:19-cv-04528 2:19-cv-04535 2:19-cv-04537 2:19-cv-04559 2:19-cv-04561 2:19-cv-04574 2:19-cv-04623 2:19-cv-04684 2:19-cv-04690 2:19-cv-04703 2:19-cv-04722 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 24 of 30 PageID: 233 Exhibit A 367 368 369 370 371 372 373 374 375 376 377 378 379 380 381 382 383 384 385 386 387 388 389 390 391 392 393 394 395 396 397 398 399 400 401 402 403 404 405 406 407 408 409 410 411 412 Anna Gonzalez, as Proposed Representative of the Estate of Beatrice Ceja, Deceased Twila M. Dillon Dora Chatman David A. Ealy Albert G. Collins Nelda Dugas James Drain Tina Dasher Augusta L. Colson John Elliott David Andrews Adela Anguiano Troy Ersch Ronald R. Francis Angela Clinton Robin Fizhugh Mary Duncan Charlotte Edwards Matilda Gagliardi Barbara S. Foutty Angela K. Henry Bobby G Jones Darlene Huettenberger Gary D. Johnson Helen Humphrey Ronnie W. Johnson Donna Hines Denice M Justice Connie Ivory Constance Gary Barton S. Hickey Marne Gonzales Pamela Kazak Phyllis J. Kinsey Steven Graham June S. Grumbein Alcadio Guajardo, III Theresa R. Grove Darren Gines Connie Gamez Paul Glasper Doris Harder Rashidah Id-Deen Bonnie Holtgrew Jeffrey A Heaps Terica Lemon 2:19-cv-04750 2:19-cv-04790 2:19-cv-04826 2:19-cv-04837 2:19-cv-04853 2:19-cv-04861 2:19-cv-04863 2:19-cv-04882 2:19-cv-04909 2:19-cv-04913 2:19-cv-04914 2:19-cv-04927 2:19-cv-04932 2:19-cv-04975 2:19-cv-04981 2:19-cv-05006 2:19-cv-05072 2:19-cv-05097 2:19-cv-05119 2:19-cv-05132 2:19-cv-05185 2:19-cv-05196 2:19-cv-05197 2:19-cv-05199 2:19-cv-05243 2:19-cv-05247 2:19-cv-05275 2:19-cv-05307 2:19-cv-05324 2:19-cv-05335 2:19-cv-05353 2:19-cv-05355 2:19-cv-05369 2:19-cv-05376 2:19-cv-05547 2:19-cv-05558 2:19-cv-05583 2:19-cv-05606 2:19-cv-05608 2:19-cv-05652 2:19-cv-05699 2:19-cv-05791 2:19-cv-05805 2:19-cv-05814 2:19-cv-05853 2:19-cv-06014 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 25 of 30 PageID: 234 Exhibit A 413 414 415 416 417 418 419 420 421 422 423 424 425 426 427 428 429 430 431 432 433 434 435 436 437 438 439 440 441 442 443 444 445 446 447 448 449 450 451 452 453 454 455 456 457 458 459 Gail H. Mills Lisa Mitchell Berchia M. Mitchell Jason R. Mitchell Anna Hoppes Carson E. Wingo Joe N. Little Betty J. Withrow Annette London Penny E Wolfe Melissa Lonsdale Richard A. Lovelace Desiree Lovins Betty Lowther Joseph W. Lucas Martin Masar Jr. James Mason Lynda Mercer Lena Woolfolk Arlene Miller Thelma McClellen Brenda McConnachie Grachell L. Manuel Uri Moscovici Marilyn Young Terry Hays-Booker Missouri McCann Marybelle J. Nohejl and Donald Nohejl Colton Norwood Norma J. Ochoa Herschel Overby Sherrie Owerko Deborah L. Patterson Shirley Murray David Peterson, Sr. Leonard Nesbitt Alvin Williamson David O. Pinto Andrew E. Polly Emily Nichols Joyce Niemi Norma Wright Misty C. Powell Leon Rhodes and Veronica Rhodes Linda Roach Sharon Raabe Martha Bruton 2:19-cv-06072 2:19-cv-06080 2:19-cv-06106 2:19-cv-06110 2:19-cv-06157 2:19-cv-06224 2:19-cv-06225 2:19-cv-06226 2:19-cv-06231 2:19-cv-06237 2:19-cv-06246 2:19-cv-06320 2:19-cv-06323 2:19-cv-06374 2:19-cv-06376 2:19-cv-06432 2:19-cv-06444 2:19-cv-06456 2:19-cv-06457 2:19-cv-06496 2:19-cv-06520 2:19-cv-06522 2:19-cv-06537 2:19-cv-06541 2:19-cv-06599 2:19-cv-06613 2:19-cv-06614 2:19-cv-06648 2:19-cv-06653 2:19-cv-06657 2:19-cv-06681 2:19-cv-06685 2:19-cv-06706 2:19-cv-06713 2:19-cv-06827 2:19-cv-06828 2:19-cv-06848 2:19-cv-06874 2:19-cv-06890 2:19-cv-06894 2:19-cv-06899 2:19-cv-06918 2:19-cv-06966 2:19-cv-06967 2:19-cv-07057 2:19-cv-07069 2:19-cv-07076 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 26 of 30 PageID: 235 Exhibit A 460 461 462 463 464 465 466 467 468 469 470 471 472 473 474 475 476 477 478 479 480 481 482 483 484 485 486 487 488 489 490 491 492 493 494 495 496 497 498 499 500 501 502 503 504 Brian Rose Brandi Peebles William Schiffert Darlet A. Simile Ben Schwartz Robert Smith Rita Scott, As Proposed Representative of the Estate of Melvern Scott, Deceased Roberta Ruddy Scott E. Shaner Amos Smith Anita L. Shank Sharon Smith Valorie Sherrod Annette H. Shook Ysleta Smith Arlene Sidenstick Heidi McGee Laronda M. McMurray Shanda M. Meacacke Brenda Swift Dawn Takacs Ruby M. Terrasas Pamela D. Terry Ruth Thompson Cheryl Russell Courtney Stark Sally D. Reed Sandra Steen Sonja F. Anthony Nadine Reese Tammy Sateriale Arnoldo Sauceda Rodney Stewart Nicholas Savini Joan v. Streek Emma L. White Susan Reitz Kevin Wiggs Robert W. Tonini Carmen Vitello Brenda J. Wadman Jami Butler, Individually and as the Representative of the Estate of David Ayers, Deceased Bonnie S. Walburn Dianne C. Walker Darlene Watson 2:19-cv-07133 2:19-cv-07166 2:19-cv-07203 2:19-cv-07208 2:19-cv-07238 2:19-cv-07247 2:19-cv-07250 2:19-cv-07297 2:19-cv-07348 2:19-cv-07350 2:19-cv-07352 2:19-cv-07389 2:19-cv-07390 2:19-cv-07400 2:19-cv-07403 2:19-cv-07425 2:19-cv-07516 2:19-cv-07540 2:19-cv-07543 2:19-cv-07558 2:19-cv-07560 2:19-cv-07589 2:19-cv-07590 2:19-cv-07605 2:19-cv-07635 2:19-cv-07636 2:19-cv-07642 2:19-cv-07658 2:19-cv-07681 2:19-cv-07732 2:19-cv-07793 2:19-cv-07799 2:19-cv-07800 2:19-cv-07825 2:19-cv-07857 2:19-cv-07869 2:19-cv-07879 2:19-cv-07893 2:19-cv-07908 2:19-cv-08007 2:19-cv-08050 2:19-cv-08067 2:19-cv-08097 2:19-cv-08137 2:19-cv-08319 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 27 of 30 PageID: 236 Exhibit A 505 506 507 508 509 510 511 512 513 514 515 516 517 518 519 520 521 522 523 524 525 526 527 528 529 530 531 532 533 534 535 536 537 538 539 540 541 542 543 544 Cherry Watson Corderro Watts Wayne Price Daniel E. Varner Audrey M. Werner Joseph White Sr. Robert Acosta Wilma Bibbs Shirley Brantley Esther Garza, Individually and as the Representative of the Estate of Jorge Garza, Deceased James Goff Regla Hernandez Elizabeth Hoover, Individually and as the Representative of the Estate of Katharina Hoover, Deceased Barbara Jensen Lorenzo Limon Andrew Mae Martin Delaine Moore Allawana Parsons, Individually and as the Representative of the Estate of Smith Parsons, Deceased Lydia Robinson Felicita Santos Margaret Chappel, Individually and as the Representative of the Estate of Adrian Smith, Deceased Ernestine Thompson Rosa Vega Katie Ware Barbara Wargo Billy Wiginton Scott Wright Brenda Wyatt Sheila Cuffee, Individually and as the Representative of the Estate of Corinne Blackwell, Deceased Terri Bullock Dortmundt Elisa Puentes, Individually and as the Representative of the Estate of Lucy Hernandez, Deceased Kimberly Ann Tomajko Billie Whitehead, Individually and as the Representative of the Estate of Artis Whitehead, Deceased Judy Edwards Kevin Hickles, Sr. George D. Pulford Roxanne Robertson Julia K. Strickland Sharon L. Thorne Dian F. Umbaugh 2:19-cv-08323 2:19-cv-08325 2:19-cv-08421 2:19-cv-08449 2:19-cv-08547 2:19-cv-08573 2:19-cv-08709 2:19-cv-10048 2:19-cv-10050 2:19-cv-10059 2:19-cv-10060 2:19-cv-10064 2:19-cv-10069 2:19-cv-10072 2:19-cv-10079 2:19-cv-10083 2:19-cv-10087 2:19-cv-10088 2:19-cv-10092 2:19-cv-10094 2:19-cv-10102 2:19-cv-10115 2:19-cv-10129 2:19-cv-10141 2:19-cv-10142 2:19-cv-10143 2:19-cv-10145 2:19-cv-10146 2:19-cv-10147 2:19-cv-10715 2:19-cv-11000 2:19-cv-11010 2:19-cv-11013 2:19-cv-11320 2:19-cv-11329 2:19-cv-11375 2:19-cv-11575 2:19-cv-11582 2:19-cv-11585 2:19-cv-11590 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 28 of 30 PageID: 237 Exhibit A 545 Josephine Cumbo Terri McCrea, as Proposed Representative of the Estate of Franklin D. 546 McCrea, Sr. 547 Nina Rosemond 548 Temika Smith 549 Lucy M. Spinner 550 Doris Bowens 551 Raymond Brisson 552 Earnest Thomas 553 Gregory Lomax 554 Arthuretta Watford 555 Thomas Bradd Davida Linn-Cammarano, Individually and as the Representative of the 556 Estate of Frank Cammarano, Deceased Marilyn Padgett, Individually and as the Representative of the Estate of 557 Novalynn Collins, Deceased 558 Paul Cyrus 559 Joshua Cole 560 Karen King Louis Brown, Jr., Individually and as the Representative of the Estate of 561 Irene Brown, Deceased Louis Brown, Jr., Individually and as the Representative of the Estate of 562 Lewis Brown, Sr., Deceased 563 Jeffrey Taylor 564 Eddie Felder Karen Wells, Individually and as the Representative of the Estate of 565 Michael Wells, Deceased 566 Larry Moore 567 Paul Greer 568 Mark Marcello 569 Marilyn Pritchard 570 Carol Presley 571 Danny Garabedian 572 Robert McCray 573 Jack Schonenberger Victor Rodriguez, Individually and as the Representative of the Estate of 574 Susan Rodriguez, Deceased 575 Stephen Marchut 576 Richard Elstun 577 Karen Arndt 578 Shirley Howard 579 Robin Noblin 580 James Cadieux 581 Brandy Ramirez 582 Mary Medeiros 583 Lynetta J. Hollingworth 2:19-cv-11776 2:19-cv-11857 2:19-cv-11862 2:19-cv-11866 2:19-cv-11888 2:19-cv-13354 2:19-cv-13490 2:19-cv-13491 2:19-cv-13677 2:19-cv-13678 2:19-cv-14061 2:19-cv-14064 2:19-cv-14065 2:19-cv-14066 2:19-cv-14513 2:19-cv-14732 2:19-cv-15341 2:19-cv-15342 2:19-cv-15345 2:19-cv-15445 2:19-cv-15570 2:19-cv-15571 2:19-cv-15777 2:19-cv-15881 2:19-cv-16196 2:19-cv-16903 2:19-cv-16905 2:19-cv-17096 2:19-cv-17541 2:19-cv-17658 2:19-cv-17991 2:19-cv-18108 2:19-cv-18304 2:19-cv-19780 2:19-cv-19781 2:19-cv-21720 2:19-cv-21958 2:19-cv-21962 2:19-cv-22041 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 29 of 30 PageID: 238 Exhibit A 584 585 586 587 588 589 590 591 Alonia Williams, as Proposed Representative of the Estate of I.G. Thompson, Sr., Deceased Weldon Paul Steadman, as Proposed Representative of the Estate of Phyllis Steadman, Deceased Jonathan E Beckham Kimberly J Burrows Kenneth B. Cousette Edward L. Thomas Stephen Deloney Kathreen Hensley 2:19-cv-22153 2:19-cv-22221 2:20-cv-00979 2:20-cv-00984 2:20-cv-00986 2:20-cv-01015 2:20-cv-01028 2:20-cv-01523 592 Brenda Williams, Individually and as PR of the Estate of Alvin Williams 2:20-cv-01844 593 594 595 596 597 598 599 600 601 602 603 604 605 606 2:20-cv-02070 2:20-cv-03162 2:20-cv-03422 2:20-cv-04531 2:20-cv-04539 2:20-cv-04636 2:20-cv-04644 2:20-cv-04667 2:20-cv-04740 2:20-cv-04760 2:20-cv-04792 2:20-cv-04811 2:20-cv-04829 2:20-cv-04841 607 608 609 610 611 612 613 614 615 616 617 618 619 620 621 622 623 624 625 Sterling Binns Martha Jones Ernest Nelson Jr. Pasquale A Palange Elena Patrizio Dorothy R Lewis Barbara Minchew Rebecca Ann Gordon Janice C. Rodgers Gary Friend Charles F Duke Linda B Ross Cheryl K Strouse Glenda Weeks Sherry White, as Proposed Representative of the Estate of Raymond White, Deceased Jacqueline Williams Mary Zangara William Clinton Robert Shawn Trybala Jane Cedar Alma J. Williams Jennefer Prepelica John E. Pumphrey, Jr. Sue Brewer Joan C. Harper Ella Norman Susan M. Pierce Hyram Archdale, as Proposed Representative of the Estate of Kathleen K. Price, Deceased Christopher Ritenour Laura J Sutphin Quintina N. Wright James Ziegler Marie Stacey 2:20-cv-04844 2:20-cv-04846 2:20-cv-04850 2:20-cv-04884 2:20-cv-04923 2:20-cv-04940 2:20-cv-04956 2:20-cv-04957 2:20-cv-04962 2:20-cv-05029 2:20-cv-05040 2:20-cv-05052 2:20-cv-05066 2:20-cv-05070 2:20-cv-05077 2:20-cv-05079 2:20-cv-05088 2:20-cv-05092 2:20-cv-05244 Case 2:18-cv-04139-CCC-LDW Document 13 Filed 04/25/23 Page 30 of 30 PageID: 239 Exhibit A 626 627 628 629 630 631 632 633 634 635 636 637 638 639 640 Robert Keenan, as Proposed Representative of the Estate of Douglas W. Keenan, Deceased Karen Boyer William Broyles, as Proposed Representative of the Estate of Mary J. Broyles, Deceased Renee McPheeters, as Proposed Representative of the Estate of Mary Lou Christopher, Deceased Linda Donaldson Barbara Dryer Eva M Longino Debra Mitchell, as Proposed Representative of the Estate of Dennis M. Mitchell, Deceased Vonda Smith, as Proposed Representative of the Estate of Thomas D. Smith, Deceased John Johnson Sharon D. Lee Victor Culpepper, as Proposed Representative of the Estate of Lisa Culpepper, Deceased Brenda Kellam Sandra Loesche Alex Montiel 2:20-cv-05266 2:20-cv-05327 2:20-cv-05329 2:20-cv-05343 2:20-cv-05344 2:20-cv-05345 2:20-cv-05354 2:20-cv-05360 2:20-cv-05368 2:20-cv-05380 2:20-cv-06715 2:20-cv-06986 2:20-cv-07294 2:20-cv-07344 2:20-cv-07345

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