Cleveland Browns Football Company LLC v. Telantis Group Corporation

Filing 5

Case Management Conference Scheduling Order with case management conference set on 10/26/2007 at 09:00 AM to be held telephonically by Hon. Patricia A. Gaughan. Signed by Judge Patricia A. Gaughan on 9/18/07.(D,MB)

Download PDF
Cleveland Browns Football Company LLC v. Telantis Group Corporation Doc. 5 Case 1:07-cv-02648-PAG Document 5 Filed 09/18/2007 Page 1 of 5 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF OHIO EASTERN DIVISION CLEVELAND BROWNS FOOTBALL COMPANY, LLC., Plaintiff (s) vs. TELANTIS GROUP CORPORATION, Defendant (s). ) ) ) ) ) ) ) ) ) ) ) ) CASE NO.: 1:07CV2648 JUDGE PATRICIA A. GAUGHAN NOTICE OF CASE MANAGEMENT CONFERENCE All counsel and/or parties will take notice that the above-entitled action has been set for a Case Management Conference ("CMC") on OCTOBER 26, 2007 at 9:00 a.m. before Judge Patricia A. Gaughan. United States District Court Local Rule Section 16.1 will apply to this case. The conference will be held by telephone with the court initiating the call. Except in government collection cases and actions by unrepresented prisoners, the parties shall meet prior to the CMC to discuss the case and prepare the proposed discovery plan pursuant to Fed. R. Civ. P. 26 (f). The parties shall, at or within 10 days after the meeting and without awaiting a discovery request, provide the basic information to the other parties specified by Fed. R. Civ. P. 26 (a) (1) (initial disclosures). A Report of Parties' Planning Meeting (see attached form), shall be filed with the Court at least three working days before the CMC. Pursuant to Fed. R. Civ. P. 26 (d), a party may not seek formal discovery from any source before the parties have met and conferred. Dockets.Justia.com Case 1:07-cv-02648-PAG Document 5 Filed 09/18/2007 Page 2 of 5 Unless otherwise ordered by the Court, initial disclosures, discovery depositions, interrogatories, requests for documents, request for admissions, and answers and responses thereto shall not be filed with the Clerk's Office, except that discovery materials may be filed as evidence in support of a motion or for use at trial. It is the responsibility of counsel for the plaintiff (s) to verify that a copy of this Order has been received by counsel for defendant (s) or, if no counsel has entered an appearance for defendant (s), has been received by defendant(s). Any questions or concerns regarding the case management conference should be directed to Mary Doubrava at (216) 357-7210. IT IS SO ORDERED. /s/Patricia A. Gaughan PATRICIA A. GAUGHAN UNITED STATES DISTRICT JUDGE Case 1:07-cv-02648-PAG Document 5 Filed 09/18/2007 Page 3 of 5 ATTACHMENT 1 UNITED STATES DISTRICT COURT NORTHER DISTRICT OF OHIO CLEVELAND BROWNS FOOTBALL COMPANY, LLC., Plaintiff(s), vs. TELANTIS GROUP CORPORATION, ) ) ) ) ) ) ) ) ) ) ) ) ) CASE NO.: 1:07CV2648 JUDGE PATRICIA A. GAUGHAN REPORT OR PARTIES' PLANNING MEETING UNDER FED. R. CIV. 26 (f) AND L.R. 16.3 (b) Defendant (s). 1. Pursuant to Fed. R. Civ. P. 26 (f) and L.R. 16.3 (b), a meeting was held on , 200 , and was attended by: Counsel for plaintiff (s) Counsel for plaintiff (s) Counsel for defendant(s) Counsel for defendant(s) 2. The parties: have exchanged the pre-discovery disclosures required by Rule 26 (a) (1) and the Court's prior order; will exchange such disclosures by have not been required to make initial disclosures. , 200 Case 1:07-cv-02648-PAG Document 5 Filed 09/18/2007 Page 4 of 5 3. The parties recommend the following track: Standard Mass Tort is/ is not suitable for Electronic Case Filing (ECF). Complex Expedited Administrative 4. 5. This case This case is suitable for Early Neutral Evaluation/Mediation/ Arbitration (Circle One) Case is not suitable for ADR at this time but may be after discovery. Case is not suitable for ADR at any time. 6. The parties do/ do not consent to the jurisdiction of the United States Magistrate Judge pursuant to 28 U.S. C.§ 636 (c). 7. Recommended Discovery Plan: a) Describe the subjects on which discovery is to be sought and the nature and extent of discovery. b) c) Non-Expert discovery cut-off date: Plaintiff's expert report due date: Defendant's expert report due date: Expert discovery cut-off date: 8. Recommended cut-off date for amending the pleadings and/or adding additional parties: 9. Recommended dispositive motion date: Case 1:07-cv-02648-PAG Document 5 Filed 09/18/2007 Page 5 of 5 10. 11. Recommended date for a Status Conference: Other matters for the attention of the Court: Attorney for Plaintiff (s) Attorney for Plaintiff (s) Attorney for Plaintiff (s) Attorney for Defendant(s) Attorney for Defendant(s) Attorney for Defendant(s)

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?