| Save 25% on a pre-paid one year subscription. |
|
|
184 |
Filed: 12/26/2024, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order of Dismissal)
|
|
Request |
|
|
|
183 |
Filed: 12/23/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order of Dismissal
|
|
Request |
|
|
|
182 |
Filed: 12/20/2024, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 12-4-2024 Telephonic Oral Argument and Rulings of the Court on Plaintiff's Motion to Compel and Motion for Leave to Supplement its Verified Complaint
|
|
|
|
|
|
181 |
Filed: 12/13/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Verified Supplement to Complaint Pursuant to 6 Del. C. §18-110
|
|
|
|
|
|
180 |
Filed: 12/12/2024, Entered: None |
Entry of Appearance |
|
Notice of Entry of Appearance of Gates H. Young of Quinn Emanuel Urquhart & Sullivan, LLP on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
|
|
Request |
|
|
|
179 |
Filed: 12/11/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Plaintiff's Motion to Compel STO Mission Critical, LLC's Compliance with Subpoena
|
|
Request |
|
|
|
177 |
Filed: 12/11/2024, Entered: None |
Public Version |
|
[PUBLIC VERSION] Plaintiff's Reply in Further Support of its Motion to Compel STO Mission Critical, LLC's Compliance With Subpoena
|
|
Request |
|
|
|
178 |
Filed: 12/11/2024, Entered: None |
Public Version |
|
[PUBLIC REDACTED VERSION] Plaintiff's Reply in Further Support of its Motion for Leave to Supplement its Verified Complaint
|
|
Request |
|
|
|
176 |
Filed: 12/10/2024, Entered: None |
Notice of Service of Request for Production |
|
Notice of Service of Defendants' Second Set of Requests for Production Directed to Plaintiff
|
|
Request |
|
|
|
175 |
Filed: 12/10/2024, Entered: None |
Notice of Service |
|
Notice of Service of Defendants' Notice of Second Rule 30(b)(6) Deposition of Plaintiff TPG RE III Volt Holdings, L.P.
|
|
Request |
|
|
|
174 |
Filed: 12/10/2024, Entered: None |
Public Version |
|
[PUBLIC VERSION] Defendants, Counterclaim-Plaintiffs’ Opposition to Plaintiff’s Motion for Leave to Supplement Its Verified Complaint
|
|
Request |
|
|
|
173 |
Filed: 12/9/2024, Entered: None |
Notice of Deposition |
|
Cross-Notice of Deposition of Geo-Technology Associates, Inc. on December 10, 2024, at 10:00 a.m. ET
|
|
Request |
|
|
|
172 |
Filed: 12/6/2024, Entered: None |
Notice of Deposition |
|
Re-Notice of Deposition of Bill Williams for December 9, 2024, at 9:15 a.m. CST
|
|
Request |
|
|
|
171 |
Filed: 12/6/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Plaintiff's Motion for Leave to Supplement its Verified Complaint
|
|
Request |
|
|
|
170 |
Filed: 12/5/2024, Entered: None |
Supplemental Submissions |
|
[CONFIDENTIAL FILING] Verified Supplement to Complaint Pursuant to 6 Del. C. § 18-110
- Attachment 1 Verification of Thomas A. Newell to Verified Supplement to Complaint Pursuant to 6 Del. C. § 18-110
|
|
|
|
|
|
169 |
Filed: 12/5/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Zendeh, Alexander: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.)
|
|
Request |
|
|
|
168 |
Filed: 12/5/2024, Entered: None |
Notice of Deposition |
|
Notice of Deposition of Geo-Technology Associates, Inc. for December 10, 2024, at 10:00 a.m. (ET)
|
|
Request |
|
|
|
167 |
Filed: 12/5/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Alexander A. Zendeh on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 1 Certification of Alexander A. Zendeh in support of Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 2 Zendeh, Alexander: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
|
|
Request |
|
|
|
166 |
Filed: 12/4/2024, Entered: None |
Judicial Action Form - Non Trial |
|
Oral argument held on motion to compel and motion for leave to supplement complaint. Motion to compel denied. Motion for leave to supplement granted. See transcript.
|
|
Request |
|
|
|
165 |
Filed: 12/4/2024, Entered: None |
Notice |
|
Notice of Acceptance of Service of Subpoena Duces Tecum and Ad Testificandum Directed to Telcon Services, LLC
- Attachment 1 Subpoena Duces Tecum and Ad Testificandum Directed to Telcon Services, LLC with email accepting service
- Attachment 2 Schedules A & B to Subpoena Duces Tecum and Ad Testificandum Directed to Telcon Services, LLC
|
|
Request |
|
|
|
164 |
Filed: 12/4/2024, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Plaintiff's Motion for Leave to Supplement its Verified Complaint)
|
|
Request |
|
|
|
163 |
Filed: 12/4/2024, Entered: None |
Order |
|
Denied ([Proposed] Order Granting Plaintiff's Motion to Compel STO Mission Critical, LLC's Compliance With Subpoena)
|
|
Request |
|
|
|
162 |
Filed: 12/3/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Hayden J. Driscoll enclosing courtesy copies of (1) Plaintiff’s Reply in Further Support of its Motion for Leave to Supplement its Verified Complaint, and (2) Plaintiff’s Reply in Further Support of its Motion to Compel STO Mission Critical, LLC’s Compliance with Subpoena
|
|
Request |
|
|
|
161 |
Filed: 12/3/2024, Entered: None |
Notice of Deposition |
|
Notice of Deposition of Telcon Services, LLC for December 6, 2024, at 11:30 a.m. (ET)
|
|
Request |
|
|
|
160 |
Filed: 12/3/2024, Entered: None |
Judicial Action Form - Non Trial |
|
Oral argument held in front of Vice Chancellor Fioravanti on pending motions to compel. Motions granted in part, denied in part. See transcript.
|
|
Request |
|
|
|
159 |
Filed: 12/3/2024, Entered: None |
Minute Order |
|
The court strongly encourages TPG RE III Volt Holdings, L.P. ("TPG") and STO Mission Critical, LLC ("STO") to resolve the pending motion to compel in advance of tomorrow’s hearing. The court requests that TPG promptly deliver this message to STO.
|
|
Request |
|
|
|
158 |
Filed: 12/3/2024, Entered: None |
Reply |
|
[CONFIDENTIAL FILING] Plaintff's Reply in Further Support of its Motion for Leave to Supplement its Verified Complaint
- Attachment 1 [CONFIDENTIAL FILING] Exhibits E-M to Plaintiff's Reply in Further Support of its Motion for Leave to Supplement its Verified Complaint
|
|
|
|
|
|
157 |
Filed: 12/3/2024, Entered: None |
Reply |
|
[CONFIDENTIAL FILING] Plaintiff's Reply in Further Support of its Motion to Compel STO Mission Critical, LLC's Compliance With Subpoena
|
|
|
|
|
|
156 |
Filed: 12/2/2024, Entered: None |
Notice of Deposition |
|
Plaintiff's Notice of Deposition of Alex Trask for December 4, 2024, at 9:00 a.m. CST
|
|
Request |
|
|
|
154 |
Filed: 12/2/2024, Entered: None |
Letter |
|
Letter from STO Building Group- they are still trying to get Delaware counsel. Deadline to file is today.
|
|
Request |
|
|
|
155 |
Filed: 12/2/2024, Entered: None |
Exhibit(s) |
|
Exhibits
|
|
Request |
|
|
|
153 |
Filed: 12/2/2024, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 11-18-2024 Telephonic Hearing on Motions to Compel, With Rulings of the Court
|
|
Request |
|
|
|
152 |
Filed: 12/2/2024, Entered: None |
Opposition |
|
[CONFIDENTIAL FILING] Defendants, Counterclaim-Plaintiffs’ Opposition to Plaintiff’s Motion for Leave to Supplement Its Verified Complaint
- Attachment 1 Exhibits 1-4 to Defendants, Counterclaim-Plaintiffs’ Opposition to Plaintiff’s Motion for Leave to Supplement Its Verified Complaint
- Attachment 2 Letter to the Honorable Paul A. Fioravanti, Jr. from Mathew A. Golden, Esquire enclosing courtesy copies of Defendants, Counterclaim-Plaintiffs’ Opposition to Plaintiff’s Motion for Leave to Supplement Its Verified Complaint
|
|
|
|
|
|
151 |
Filed: 11/27/2024, Entered: None |
Notice of Service |
|
Notice of Service of [Corrected] Expert Report of Michael A. Hostettler
|
|
Request |
|
|
|
150 |
Filed: 11/27/2024, Entered: None |
Minute Order |
|
Any opposition to the motion to compel that was filed today shall be served and filed by December 2, 2024, at noon. The reply is due by 10:00 a.m. on December 3. A telephonic hearing on the motion will be held on Wednesday, December 4 at 9:15 a.m. Plaintiff shall arrange for the teleconference and provide immediate notice to STO Mission Critical, LLC of this Order.Linked from (1)
|
|
Request |
|
|
|
149 |
Filed: 11/27/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A. Barlow enclosing courtesy copies of Plaintiff's Motion to Compel STO Mission Critical, LLC's Compliance with Subpoena
|
|
Request |
|
|
|
148 |
Filed: 11/27/2024, Entered: None |
Motion to Compel |
|
[CONFIDENTIAL FILING] Plaintiff's Motion to Compel STO Mission Critical, LLC's Compliance With Subpoena
- Attachment 1 [CONFIDENTIAL FILING] Exhibits 1-8 to Plaintiff's Motion to Compel STO Mission Critical, LLC's Compliance With Subpoena
- Attachment 2 [CONFIDENTIAL FILING] Exhibits 9-17 to Plaintiff's Motion to Compel STO Mission Critical, LLC's Compliance With Subpoena
- Attachment 3 [Proposed] Order Granting Plaintiff's Motion to Compel STO Mission Critical, LLC's Compliance With Subpoena
- Attachment 4 Certificate of Service to Plaintiff's Motion to Compel STO Mission Critical, LLC's Compliance With Subpoena
|
|
|
|
|
|
147 |
Filed: 11/26/2024, Entered: None |
Notice of Service |
|
Notice of Service of Subpoena Duces Tecum and Ad Testificandum Directed to Structure Tone, LLC
- Attachment 1 Subpoena Duces Tecum and Ad Testificandum Directed to Structure Tone, LLC with Affidavit of Service
- Attachment 2 Schedules A-B to Subpoena Duces Tecum and Ad Testificandum Directed to Structure Tone, LLC
|
|
Request |
|
|
|
146 |
Filed: 11/26/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Hayden J. Driscoll enclosing courtesy copies of Plaintiff's Motion for Leave to Supplement its Verified Complaint
|
|
Request |
|
|
|
144 |
Filed: 11/26/2024, Entered: None |
Notice |
|
Notice of Acceptance of Service of Subpoena Duces Tecum and Ad Testificandum Directed to Gary Wojtaszek
|
|
Request |
|
|
|
145 |
Filed: 11/26/2024, Entered: None |
Notice of Deposition |
|
Notice of Deposition of Gary Wojtaszek for December 13, 2024, beginning at 9:00 a.m. (CT)
- Attachment 1 Subpoena Duces Tecum and Ad Testificandum Directed to Gary Wojtaszek with email accepting service
- Attachment 2 Schedules A-B to Subpoena Duces Tecum and Ad Testificandum Directed to Gary Wojtaszek
|
|
Request |
|
|
|
143 |
Filed: 11/26/2024, Entered: None |
Public Version |
|
[Public Version] Reply in Further Support of Defendants, Counterclaim-Plaintiffs' Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
|
|
Request |
|
|
|
142 |
Filed: 11/26/2024, Entered: None |
Motion |
|
[CONFIDENTIAL FILING] Plaintiff's Motion for Leave to Supplement its Verified Complaint
- Attachment 1 [CONFIDENTIAL FILING] Exhibits A-D to Plaintiff's Motion for Leave to Supplement its Verified Complaint
- Attachment 2 [Proposed] Order Granting Plaintiff's Motion for Leave to Supplement its Verified Complaint
|
|
|
|
|
|
141 |
Filed: 11/25/2024, Entered: None |
Notice of Service |
|
Notice of Service of Expert Report of Michael A. Hostettler
|
|
Request |
|
|
|
140 |
Filed: 11/25/2024, Entered: None |
Notice of Service |
|
Notice of Service of Defendants, Counterclaim-Plaintiffs’ Responses and Objections to Plaintiff’s Notice of Rule 30(b)(6) Deposition of Defendants
|
|
Request |
|
|
|
139 |
Filed: 11/25/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Plaintiff's Reply in Further Support of its Motion to Compel Defendants to Supplement Interrogatory Responses
|
|
Request |
|
|
|
138 |
Filed: 11/22/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Plaintiff's Opposition to Defendants' Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
|
|
Request |
|
|
|
137 |
Filed: 11/22/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Oestreich, Hailey: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants and Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
136 |
Filed: 11/22/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Magliolo, Joe: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants and Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
135 |
Filed: 11/22/2024, Entered: None |
Public Version |
|
[Redacted Public Version] Defendants, Counterclaim-Plaintiffs' Opposition to Plaintiff's Motion to Compel Defendants to Supplement Interrogatory Responses
|
|
Request |
|
|
|
133 |
Filed: 11/21/2024, Entered: None |
Notice of Deposition |
|
Plaintiff's Re-Notice of Depositions of Michael Benham and Bill Williams for December 4 and December 9, 2024, respectively
|
|
Request |
|
|
|
134 |
Filed: 11/21/2024, Entered: None |
Notice of Deposition |
|
Plaintiff's Notice of Deposition of Thomas J. Daly for December 3, 2024, at 9:00 a.m. CT
|
|
Request |
|
|
|
132 |
Filed: 11/21/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Hailey Oestreich on behalf of Defendants and Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 1 Certification of Hailey Oestreich in support of Motion for Admission Pro Hac Vice on behalf of Defendants and Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 2 Oestreich, Hailey: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants and Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
131 |
Filed: 11/21/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Joe Magliolo on behalf of Defendants and Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 1 Certification of Joe Magliolo in support of Motion for Admission Pro Hac Vice on behalf of Defendants and Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 2 Magliolo, Joe: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants and Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
130 |
Filed: 11/20/2024, Entered: None |
Notice of Deposition |
|
Re-Notice of Cross-Notice of Deposition of Scott Comley (Primoris T&D Services, LLC) on November 22, 2024 at 9:00a.m. (CT) (change in location)
|
|
Request |
|
|
|
129 |
Filed: 11/20/2024, Entered: None |
Notice of Deposition |
|
Re-Notice of Deposition of Scott Comley of Primoris T&D Services, LLC for November 22, 2024, at 9:00 a.m. (CT) with change in location
|
|
Request |
|
|
|
127 |
Filed: 11/20/2024, Entered: None |
Notice of Deposition |
|
Cross-Notice of Deposition of Scott Comley (Primoris T&D Services, LLC) on November 22, 2024 at 9:00a.m. (CT)
|
|
Request |
|
|
|
128 |
Filed: 11/20/2024, Entered: None |
Notice of Deposition |
|
Cross-Notice of Deposition of Kraig Walsleben of Rodgers Consulting, Inc. on November 21, 2024 at 9:00a.m. (CT)
|
|
Request |
|
|
|
126 |
Filed: 11/19/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Plaintiff's Reply in Further Support of its Motion to Compel Defendants to Produce Documents in Compliance With Discovery Obligations
|
|
Request |
|
|
|
125 |
Filed: 11/19/2024, Entered: None |
Notice of Deposition |
|
Notice of Deposition of Kraig Walsleben of Rodgers Consulting, Inc. on November 21, 2024, at 9:00 a.m. (CT)
|
|
Request |
|
|
|
123 |
Filed: 11/18/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Plaintiff's Reply to Defendants' Counterclaims
|
|
Request |
|
|
|
124 |
Filed: 11/18/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Plaintiff's Motion to Compel Defendants to Supplement Interrogatory Responses
|
|
Request |
|
|
|
122 |
Filed: 11/18/2024, Entered: None |
Order |
|
Granted in Part ([Proposed] Order Granting Plaintiff's Motion to Compel Defendants to Supplement Interrogatory Responses)
|
|
Request |
|
|
|
121 |
Filed: 11/18/2024, Entered: None |
Order |
|
Granted in Part ([Proposed] Order Granting Defendants, Counterclaim-Plaintiffs’ Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol)
|
|
Request |
|
|
|
120 |
Filed: 11/18/2024, Entered: None |
Order |
|
Granted in Part ([Proposed] Order Granting Plaintiff's Motion to Compel Defendants to Produce Documents in Compliance With Discovery Obligations)
|
|
Request |
|
|
|
119 |
Filed: 11/18/2024, Entered: None |
Notice of Deposition |
|
Defendants’ Omnibus Notice Of Depositions
|
|
Request |
|
|
|
118 |
Filed: 11/18/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Mathew A. Golden enclosing documents Defendants-Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC intend to refer to during today's hearing on the pending motions to compel
- Attachment 1 Exhibits 1-2 to Letter to The Honorable Paul A. Fioravanti, Jr. from Mathew A. Golden enclosing documents Defendants-Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC intend to refer to during today's hearing on the pending motions to compel [CONFIDENTIAL FILING]
|
|
Request |
|
|
|
116 |
Filed: 11/17/2024, Entered: None |
Notice of Deposition |
|
Plaintiff's Re-Notice of Deposition of Scott Noteboom, Sylvia Kang, Rick Keiner and AD Robinson
|
|
Request |
|
|
|
117 |
Filed: 11/17/2024, Entered: None |
Notice of Deposition |
|
Plaintiff's Notice of Deposition of Scott Comley (Primoris T&D Services, LLC) for November 22, 2024, at 9:00 a.m. (CT)
|
|
Request |
|
|
|
115 |
Filed: 11/17/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A. Barlow submitting a joint certification on behalf of the parties
|
|
Request |
|
|
|
114 |
Filed: 11/17/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A. Barlow, on behalf of the parties, enclosing jointly-prepared charts requested by the Court in advance of the hearing scheduled for Monday, November 18, 2024, at 1:30 p.m.
- Attachment 1 [CONFIDENTIAL FILING] Exhibit A to Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A. Barlow, on behalf of the parties, enclosing jointly-prepared charts requested by the Court in advance of the hearing scheduled for Monday, November 18, 2024, at 1:30 p.m.
- Attachment 2 [CONFIDENTIAL FILING] Exhibit B to Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A. Barlow, on behalf of the parties, enclosing jointly-prepared charts requested by the Court in advance of the hearing scheduled for Monday, November 18, 2024, at 1:30 p.m.
- Attachment 3 [CONFIDENTIAL FILING] Exhibit C to Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A. Barlow, on behalf of the parties, enclosing jointly-prepared charts requested by the Court in advance of the hearing scheduled for Monday, November 18, 2024, at 1:30 p.m.
|
|
Request |
|
|
|
113 |
Filed: 11/16/2024, Entered: None |
Reply |
|
[CONFIDENTIAL FILING] Defendants, Counterclaim-Plaintiffs’ Reply in Further Support of Defendants, Counterclaim-Plaintiffs’ Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
- Attachment 1 [CONFIDENTIAL FILING] Exhibits A-C to Reply in Further Support of Defendants, Counterclaim-Plaintiffs’ Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
- Attachment 2 Letter to the Honorable Paul A. Fioravanti, Jr. from Mathew A. Golden, Esquire enclosing courtesy copies of Reply in Further Support of Defendants, Counterclaim-Plaintiffs’ Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
|
|
|
|
|
|
112 |
Filed: 11/16/2024, Entered: None |
Reply |
|
[CONFIDENTIAL FILING] Plaintiff's Reply in Further Support of its Motion to Compel Defendants to Supplement Interrogatory Responses
- Attachment 1 [CONFIDENTIAL FILING] Exhibits G-N to Plaintiff's Reply in Further Support of its Motion to Compel Defendants to Supplement Interrogatory Responses
- Attachment 2 Letter to The Honorable Paul A. Fioravanti, Jr. from Hayden J. Driscoll enclosing courtesy copies of Plaintiff's Reply in Further Support of its Motion to Compel Defendants to Supplement Interrogatory Responses
|
|
|
|
|
|
111 |
Filed: 11/15/2024, Entered: None |
Notice of Service |
|
Notice of Service of Subpoena Ad Testificandum Directed to GEI Consultants, Inc., filed on behalf of Defendants and Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 1 Subpoena Ad Testificandum Directed to GEI Consultants, Inc. with Affidavit of Service
- Attachment 2 Schedules A-D to the Subpoena Ad Testificandum Directed to GEI Consultants, Inc.
|
|
Request |
|
|
|
110 |
Filed: 11/15/2024, Entered: None |
Notice of Service |
|
Notice of Service of Subpoena Ad Testificandum Directed to Geo-Technology Associates, Inc., filed on behalf of Defendants and Counterclaim-Plaintiff's Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 1 Subpoena Ad Testificandum Directed to Geo-Technology Associates, Inc. with Affidavit of Service
- Attachment 2 Schedules A-D to the Subpoena Ad Testificandum Directed to Geo-Technology Associates, Inc.
|
|
Request |
|
|
|
108 |
Filed: 11/15/2024, Entered: None |
Public Version |
|
[Redacted Public Version] Defendants, Counterclaim-Plaintiffs' Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
|
|
Request |
|
|
|
109 |
Filed: 11/15/2024, Entered: None |
Public Version |
|
[Redacted Public Version] Defendants, Counterclaim-Plaintiffs’ Opposition to Plaintiff’s Motion to Compel Documents
|
|
Request |
|
|
|
107 |
Filed: 11/15/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Lilianna Anh P. Townsend enclosing courtesy copies of Defendant, Counterclaim-Plaintiffs' Opposition to Plaintiff's Motion to Compel Defendants to Supplement Interrogatory Responses
|
|
Request |
|
|
|
106 |
Filed: 11/15/2024, Entered: None |
Notice |
|
Notice of Acceptance of Service of Subpoena Duces Tecum and Ad Testificandum Directed to Thomas J. Daly
- Attachment 1 Subpoena Duces Tecum and Ad Testificandum Directed to Thomas J. Daly with email accepting service
- Attachment 2 Schedules A and B to Subpoena Duces Tecum and Ad Testificandum Directed to Thomas J. Daly
|
|
Request |
|
|
|
105 |
Filed: 11/15/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti from Hayden J. Driscoll enclosing courtesy copies of Plaintiff's Opposition to Defendants' Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
|
|
Request |
|
|
|
104 |
Filed: 11/14/2024, Entered: None |
Opposition |
|
[CONFIDENTIAL FILING] Defendant, Counterclaim-Plaintiffs' Opposition to Plaintiff's Motion to Compel Defendants to Supplement Interrogatory Responses
- Attachment 1 [CONFIDENTIAL FILING] Exhibit 1 to Defendant, Counterclaim-Plaintiffs' Opposition to Plaintiff's Motion to Compel Defendants to Supplement Interrogatory Responses
|
|
|
|
|
|
103 |
Filed: 11/14/2024, Entered: None |
Opposition |
|
[CONFIDENTIAL FILING] Plaintiff's Opposition to Defendants' Motion to Compel Plaintiff to Produce Documents and Comply With Search Protocol
- Attachment 1 [CONFIDENTIAL FILING] Exhibits 1-8 to Plaintiff's Opposition to Defendants' Motion to Compel Plaintiff to Produce Documents and Comply With Search Protocol
- Attachment 2 Exhibit 9 to Plaintiff's Opposition to Defendants' Motion to Compel Plaintiff to Produce Documents and Comply With Search Protocol
- Attachment 3 [CONFIDENTIAL FILING] Exhibits 10-13 to Plaintiff's Opposition to Defendants' Motion to Compel Plaintiff to Produce Documents and Comply With Search Protocol
|
|
|
|
|
|
102 |
Filed: 11/14/2024, Entered: None |
Letter |
|
Letter to counsel from Vice Chancellor Fioravanti regarding the hearing on the three pending discovery motions scheduled for Monday, November 18, 2024 at 1:30 p.m.
|
|
Request |
|
|
|
100 |
Filed: 11/13/2024, Entered: None |
Notice of Service of Objections to Discovery |
|
Notice of Service of Plaintiff's Responses and Objections to Defendants Quantum LoopHole, Inc. and Quantum Dev, LLC's Notice of Rule 30(b)(6) Deposition
|
|
Request |
|
|
|
101 |
Filed: 11/13/2024, Entered: None |
Notice of Deposition |
|
Plaintiff's Notice of Depositions of AD Robison, Mark Wehrmann, Bill Williams, Sylvia Kang, Michael Benham, Scott Noteboom, Rick Keiner and Josh Snowhorn
|
|
Request |
|
|
|
99 |
Filed: 11/13/2024, Entered: None |
Notice of Service of Responses to Request for Prod |
|
Notice of Service to Defendants’ Responses and Objections to Plaintiff’s Second Set of Requests for Production
|
|
Request |
|
|
|
98 |
Filed: 11/13/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Plaintiff's Motion to Compel Defendants to Produce Documents in Compliance with Discovery Obligations
|
|
Request |
|
|
|
97 |
Filed: 11/13/2024, Entered: None |
Minute Order |
|
This confirms that a telephonic hearing on the pending motions to compel has been scheduled for Monday, November 18, 2024 at 1:30 p.m.Linked from (3)
|
|
Request |
|
|
|
96 |
Filed: 11/13/2024, Entered: None |
Notice of Service |
|
Notice of Service of Subpoena Duces Tecum and Ad Testificandum Directed to Thomas Natelli
- Attachment 1 DE and MD Subpoena Duces Tecum Directed to Thomas Natelli with Affidavit of Service
- Attachment 2 Schedules A and B to Subpoena Duces Tecum Directed to Thomas Natelli
|
|
Request |
|
|
|
95 |
Filed: 11/13/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Ruyak, Brittany: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.)
|
|
Request |
|
|
|
94 |
Filed: 11/12/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Brittany Ruyak of Quinn Emanuel Urquhart & Sullivan, LLP on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 1 Certification of Brittany Ruyak in support of Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 2 Ruyak, Brittany: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
|
|
Request |
|
|
|
93 |
Filed: 11/12/2024, Entered: None |
Notice of Deposition |
|
Plaintiff's Notice of Rule 30(b)(6) Deposition of Defendants Quantum LoopHole, Inc. and Quantum Dev, LLC
- Attachment 1 Schedule A to Plaintiff's Notice of Rule 30(b)(6) Deposition of Defendants Quantum LoopHole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
92 |
Filed: 11/12/2024, Entered: None |
Order |
|
Granted ([Proposed] Order for Letter Rogatory)
|
|
Request |
|
|
|
91 |
Filed: 11/11/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Hayden J. Driscoll enclosing courtesy copies of Plaintiff's Reply in Further Support of its Motion to Compel Defendants to Produce Documents in Compliance with Discovery Obligations
|
|
Request |
|
|
|
90 |
Filed: 11/9/2024, Entered: None |
Notice of Deposition |
|
Defendants' Notice of Rule 30(b)(6) Deposition of Plaintiff TPG RE III Volt Holdings, L.P.
|
|
Request |
|
|
|
89 |
Filed: 11/9/2024, Entered: None |
Notice of Service |
|
Notice of Service of Defendants' Notice of Rule 30(b)(6) Deposition of Plaintiff TPG RE III Volt Holdings, L.P. and Schedule A
|
|
Request |
|
|
|
88 |
Filed: 11/8/2024, Entered: None |
Reply |
|
[CONFIDENTIAL FILING] Plaintiff's Reply in Further Support of its Motion to Compel Defendants to Produce Documents in Compliance with Discovery Obligations
|
|
|
|
|
|
87 |
Filed: 11/8/2024, Entered: None |
Notice of Service |
|
Notice of Service of Plaintiff TPG RE III Volt Holdings, L.P.’s Expert Disclosure
|
|
Request |
|
|
|
86 |
Filed: 11/8/2024, Entered: None |
Motion for Commission |
|
Plaintiff's Motion for Issuance of a Letter Rogatory Authorizing Issuance of a New Hampshire Subpoena Duces Tecum and Ad Testificandum to Thomas J. Daly
- Attachment 1 [Proposed] Order for Letter Rogatory
- Attachment 2 Letter Rogatory for Thomas J. Daly
- Attachment 3 Schedules A-B to Letter Rogatory for Thomas J. Daly
|
|
Request |
|
|
|
85 |
Filed: 11/8/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Hayden J. Driscoll enclosing courtesy copies of (1) Plaintiff’s Motion to Compel Defendants to Supplement Interrogatory Responses, and (2) Plaintiff’s Reply to Defendants’ Counterclaims
|
|
Request |
|
|
|
| Save 25% on a pre-paid one year subscription. |
|
|
84 |
Filed: 11/8/2024, Entered: None |
Letter |
|
Letter to the Honorable Paul A. Fioravanti, Jr. from Ryan M. Crowley, Esquire enclosing courtesy copies of (i) Defendants, Counterclaim-Plaintiffs’ Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol, with supporting papers thereto, and (ii) Defendants, Counterclaim-Plaintiffs’ Opposition to Plaintiff’s Motion to Compel Documents, with supporting papers thereto
|
|
Request |
|
|
|
83 |
Filed: 11/7/2024, Entered: None |
answer to counterclaim |
|
[CONFIDENTIAL FILING] Plaintiff's Reply to Defendants' Counterclaim
- Attachment 1 [CONFIDENTIAL FILING] Exhibits 1-2 to Plaintiff's Reply to Defendants' Counterclaim
|
|
|
|
|
|
82 |
Filed: 11/7/2024, Entered: None |
Opposition |
|
[CONFIDENTIAL FILING] Defendants, Counterclaim-Plaintiffs’ Opposition to Plaintiff’s Motion to Compel Documents
- Attachment 1 Exhibits A-D to Defendants, Counterclaim-Plaintiffs’ Opposition to Plaintiff’s Motion to Compel Documents
|
|
|
|
|
|
81 |
Filed: 11/7/2024, Entered: None |
Motion to Compel |
|
[CONFIDENTIAL FILING] Plaintiff's Motion to Compel Defendants to Supplement Interrogatory Responses
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion to Compel Defendants to Supplement Interrogatory Responses
- Attachment 2 [CONFIDENTIAL FILING] Exhibits A-F to Plaintiff's Motion to Compel Defendants to Supplement Interrogatory Responses
|
|
|
|
|
|
80 |
Filed: 11/7/2024, Entered: None |
Motion to Compel |
|
[CONFIDENTIAL FILING] Defendants, Counterclaim-Plaintiffs' Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
- Attachment 1 [CONFIDENTIAL FILING] Exhibits 1-7 to Defendants, Counterclaim-Plaintiffs’ Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
- Attachment 2 [Proposed] Order Granting Defendants, Counterclaim-Plaintiffs’ Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
- Attachment 3 Compendium of Authorities Cited in Defendants, Counterclaim-Plaintiffs’ Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
- Attachment 4 Tabs 1-4 to Compendium of Authorities Cited in Defendants, Counterclaim-Plaintiffs’ Motion to Compel Plaintiff to Produce Documents and Comply with Search Protocol
|
|
|
|
|
|
79 |
Filed: 11/6/2024, Entered: None |
Notice of Service |
|
Defendants' Notice of Service of Subpoena Duces Tecum and Ad Testificandum Directed to Tom Natelli
- Attachment 1 Delaware Subpoena Duces Tecum and Ad Testificandum Directed to Tom Natelli with Affidavit of Service
- Attachment 2 Maryland Subpoena Duces Tecum and Ad Testificandum Directed to Tom Natelli with Affidavit of Service
- Attachment 3 Schedules A-C to the Subpoena Duces Tecum and Ad Testificandum Directed to Tom Natelli
|
|
Request |
|
|
|
74 |
Filed: 11/6/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Reid, IV, William T.- [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
75 |
Filed: 11/6/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Tsai, Lisa S.- [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
76 |
Filed: 11/6/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Boneau, Craig A.- [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
77 |
Filed: 11/6/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Wells, Jeremy- [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
78 |
Filed: 11/6/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Di Fiore, Julia-[Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
73 |
Filed: 11/6/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Ellis H. Huff of Potter Anderson & Corroon LLP on behalf of Defendants and Counterclaim-Plaintiffs Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
72 |
Filed: 11/6/2024, Entered: None |
Order |
|
Granted ([Proposed] Order Granting Plaintiff's Motion for Commission and Issuance of a Subpoena Duces Tecum and Ad Testificandum Directed to Gary Wojtaszek)
|
|
Request |
|
|
|
71 |
Filed: 11/6/2024, Entered: None |
Notice of Service |
|
Notice of Service of Subpoena Duces Tecum and Ad Testificandum Directed to Catellus Development Corporation
- Attachment 1 Subpoena Duces Tecum and Ad Testificandum Directed to Catellus Development Corporation, with Affidavit of Service
- Attachment 2 Schedules A-E to the Subpoena Duces Tecum and Ad Testificandum Directed to Catellus Development Corporation
|
|
Request |
|
|
|
70 |
Filed: 11/5/2024, Entered: None |
Notice of Service of Request for Production |
|
Notice of Service of Plaintiff’s Second Set of Requests for Production of Documents Directed to Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
69 |
Filed: 11/5/2024, Entered: None |
Notice of Service of Objections to Discovery |
|
Notice of Service of Defendants' Supplemental Responses and Objections to Plaintiff's First Set of Interrogatories Directed to Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
68 |
Filed: 11/5/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Norman M. Monhait, Jessica Zeldin, and Alexander J. Rigby of Reid Collins & Tsai LLP as co-counsel for Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 1 Motion for Admission Pro Hac Vice of William T. Reid, IV, of Reid Collins & Tsai LLP on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 2 Motion for Admission Pro Hac Vice of Lisa S. Tsai of Reid Collins & Tsai LLP on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 3 Motion for Admission Pro Hac Vice of Craig A. Boneau of Reid Collins & Tsai LLP on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 4 Motion for Admission Pro Hac Vice of Jeremy Wells of Reid Collins & Tsai LLP on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 5 Motion for Admission Pro Hac Vice of Julia Di Fiore of Reid Collins & Tsai LLP on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 6 Certification of William T. Reid, IV, in support of Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 7 Reid, IV, William T.- [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 8 Certification of Lisa S. Tsai in support of Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 9 Tsai, Lisa S.- [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 10 Certification of Craig A. Boneau in support of Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 11 Boneau, Craig A.- [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 12 Certification of Jeremy Wells in support of Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 13 Wells, Jeremy- [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 14 Certification of Julia Di Fiore in support of Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 15 Di Fiore, Julia-[Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
67 |
Filed: 11/4/2024, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice of Service of Plaintiff's Responses and Objections to Defendants' First Set of Interrogatories Directed to Plaintiff
|
|
Request |
|
|
|
66 |
Filed: 11/4/2024, Entered: None |
Motion for Commission |
|
Plaintiff's Motion for Commission and Issuance of a Subpoena Duces Tecum and Ad Testificandum Directed to Gary Wojtaszek
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion for Commission and Issuance of a Subpoena Duces Tecum and Ad Testificandum Directed to Gary Wojtaszek
- Attachment 2 Commission to Take Deposition and Obtain Documents from Gary Wojtaszek
- Attachment 3 Schedule A to Commission to Take Deposition and Obtain Documents from Gary Wojtaszek
|
|
Request |
|
|
|
65 |
Filed: 11/4/2024, Entered: None |
Motion to Compel |
|
[CONFIDENTIAL FILING] Plaintiff's Motion to Compel Defendants to Produce Documents in Compliance with Discovery Obligations
- Attachment 1 [Proposed] Order Granting Plaintiff's Motion to Compel Defendants to Produce Documents in Compliance With Discovery Obligations
- Attachment 2 Exhibit A to Plaintiff's Motion to Compel Defendants to Produce Documents in Compliance With Discovery Obligations
- Attachment 3 [CONFIDENTIAL FILING] Exhibits B-G to Plaintiff's Motion to Compel Defendants to Produce Documents in Compliance With Discovery Obligations
- Attachment 4 Exhibit H to Plaintiff's Motion to Compel Defendants to Produce Documents in Compliance With Discovery Obligations
- Attachment 5 Letter to The Honorable Paul A. Fioravanti, Jr. form Hayden J. Driscoll enclosing courtesy copies of Plaintiff's Motion to Compel Defendants to Produce Documents in Compliance with Discovery Obligations
|
|
|
|
|
|
63 |
Filed: 11/4/2024, Entered: None |
Notice of Service |
|
Notice of Service of Subpoena Duces Tecum and Ad Testificandum Directed to Geo-Technology Associates, Inc.
|
|
Request |
|
|
|
64 |
Filed: 11/4/2024, Entered: None |
Notice of Service |
|
Notice of Service of Subpoena Duces Tecum and Ad Testificandum Directed to Rodgers Consulting, Inc.
- Attachment 1 Subpoena Duces Tecum and Ad Testificandum Directed to Geo-Technology Associates, Inc. with Affidavit of Service
- Attachment 2 Schedules A and B to Subpoena Duces Tecum and Ad Testificandum Directed to Geo-Technology Associates, Inc.
- Attachment 3 Delaware and Maryland Subpoena Duces Tecum and Ad Testificandum Directed to Rodgers Consulting, Inc. with Affidavit of Service
- Attachment 4 Schedules A and B to Subpoena Duces Tecum and Ad Testificandum Directed to Rodgers Consulting, Inc.
|
|
Request |
|
|
|
62 |
Filed: 10/29/2024, Entered: None |
Notice of Service of Responses to Request for Prod |
|
Notice of Service of Plaintiff's Responses and Objections to Defendants' First Set of Requests for Production
|
|
Request |
|
|
|
61 |
Filed: 10/28/2024, Entered: None |
Public Version |
|
[Redacted Public Version] Defendants' Counterclaims and Answer and Affirmative Defenses to Plaintiff's Verified Complaint
|
|
Request |
|
|
|
60 |
Filed: 10/25/2024, Entered: None |
Notice of Service of Answers to Interrogatories |
|
Notice of Service of Defendants' Responses and Objections to Plaintiff's First Set of Interrogatories Directed to Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
58 |
Filed: 10/25/2024, Entered: None |
Notice of Service |
|
Notice of Service of Subpoena Duces Tecum and Ad Testificandum Directed to Primoris T&D Services, LLC
|
|
Request |
|
|
|
59 |
Filed: 10/25/2024, Entered: None |
Notice of Service |
|
Notice of Service of Subpoena Duces Tecum and Ad Testificandum Directed to STO Mission Critical LLC
- Attachment 1 Subpoena Duces Tecum and Ad Testificandum to Primoris T&D Services, LLC with Affidavit of Service
- Attachment 2 Schedules A and B to Subpoena Duces Tecum and Ad Testificandum to Primoris T&D Services, LLC
- Attachment 3 Subpoena Duces Tecum and Ad Testificandum Directed to STO Mission Critical LLC with Affidavit of Service
- Attachment 4 Schedules A and B to Subpoena Duces Tecum and Ad Testificandum Directed to STO Mission Critical LLC
|
|
Request |
|
|
|
57 |
Filed: 10/23/2024, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 10-9-2024 Telephonic Rulings of the Court on Defendants' Motion to Dismiss or Stay
|
|
Request |
|
|
|
55 |
Filed: 10/23/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Griffin, Asher B.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.)
|
|
Request |
|
|
|
56 |
Filed: 10/23/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Inns, Nicholas J.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.)
|
|
Request |
|
|
|
53 |
Filed: 10/22/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Asher B. Griffin of Quinn Emanuel Urquhart & Sullivan, LLP on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
|
|
Request |
|
|
|
54 |
Filed: 10/22/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Nicholas J. Inns of Quinn Emanuel Urquhart & Sullivan, LLP on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 1 Certification of Asher B. Griffin in support of Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 2 Griffin, Asher B.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 3 Certification of Nicholas J. Inns in support of Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 4 Inns, Nicholas J.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
|
|
Request |
|
|
|
52 |
Filed: 10/21/2024, Entered: None |
Notice of Service |
|
Notice of Service of Defendants’ Responses and Objections to Plaintiff’s First Set of Requests for Production
|
|
Request |
|
|
|
51 |
Filed: 10/21/2024, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Case Schedule)
|
|
Request |
|
|
|
50 |
Filed: 10/21/2024, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order for the Production and Exchange of Confidential Information)
|
|
Request |
|
|
|
49 |
Filed: 10/21/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Case Schedule
|
|
Request |
|
|
|
48 |
Filed: 10/21/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A Barlow, on behalf of all parties, enclosing a Stipulation and [Proposed] Order for the Production and Exchange of Confidential Information
- Attachment 1 Exhibit A to Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A Barlow, on behalf of all parties, enclosing a Stipulation and [Proposed] Order for the Production and Exchange of Confidential Information (Blackline Comparison)
- Attachment 2 Stipulation and [Proposed] Order for the Production and Exchange of Confidential Information
- Attachment 3 Exhibit A to Stipulation and [Proposed] Order for the Production and Exchange of Confidential Information
|
|
Request |
|
|
|
47 |
Filed: 10/20/2024, Entered: None |
Judicial Action Form - Non Trial |
|
October 2,2024, Telephonic Argument and Rulings on Plaintiff’s Motions to Expedite and for an SQO. Parties presented argument on the motions to expedite and for an SQO. Motions granted. Any reply regarding the pending motion to dismiss is due October 3, 2024 at 5 p.m. Parties are to confer on a proposed form of order for the SQO, to be submitted by October 4, 2024 at 4 p.m., and a case schedule, with parties to contact the court re: trial dates on October 4, 2024. See transcript.
|
|
Request |
|
|
|
46 |
Filed: 10/18/2024, Entered: None |
Answer and Counterclaim |
|
Defendants' Counterclaims and Answer and Affirmative Defenses to Plaintiff's Verified Complaint [CONFIDENTIAL FILING]
- Attachment 1 Verification of Josh Snowhorn as CEO of Quantum Loophole, Inc. and authorized person of Quantum Dev, LLC in support of Defendants' Counterclaims and Answer and Affirmative Defenses to Plaintiff's Verified Complaint
|
|
|
|
|
|
45 |
Filed: 10/18/2024, Entered: None |
Notice of Service of Discovery |
|
Notice of Service of (1) Defendants' First Set of Interrogatories Directed to Plaintiff and (2) Defendants' First Set of Requests for Production Directed to Plaintiff
|
|
Request |
|
|
|
44 |
Filed: 10/15/2024, Entered: None |
Order |
|
Granted (Stipulation and [Proposed] Order Governing Expert Discovery)
|
|
Request |
|
|
|
43 |
Filed: 10/14/2024, Entered: None |
Stipulation & (Proposed) Order |
|
Stipulation and [Proposed] Order Governing Expert Discovery
|
|
Request |
|
|
|
42 |
Filed: 10/14/2024, Entered: None |
Official Transcript (Addl Fees Apply) |
|
Transcript of 10-2-2024 Telephonic Oral Argument and Rulings of the Court on Plaintiff's Motions for a Status Quo Order and Expedited Proceedings
|
|
Request |
|
|
|
41 |
Filed: 10/10/2024, Entered: None |
Notice of Service |
|
Notice of Service of (1) Plaintiff’s First Set of Requests for Production of Documents Directed to Defendants Quantum Loophole, Inc. and Quantum Dev, LLC, and (2) Plaintiff’s First Set of Interrogatories Directed to Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
40 |
Filed: 10/10/2024, Entered: None |
Public Version |
|
Public Version of Reply Brief in Further Support of Defendants' Motion to Dismiss or, Alternatively, Stay
|
|
Request |
|
|
|
39 |
Filed: 10/9/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Reply Brief in Further Support of Plaintiff's Motions for a Status Quo Order and Expedited Proceedings
|
|
Request |
|
|
|
38 |
Filed: 10/9/2024, Entered: None |
Order |
|
Denied ([Proposed] Order Granting Defendants' Motion to Dismiss or, Alternatively, Stay)
|
|
Request |
|
|
|
37 |
Filed: 10/9/2024, Entered: None |
Judicial Action Form - Non Trial |
|
Telephonic rulings of the court on Defendants’ Motion to Dismiss or Stay. Motion denied. See transcript.
|
|
Request |
|
|
|
36 |
Filed: 10/9/2024, Entered: None |
Minute Order |
|
This confirms the court will issue its ruling telephonically on the Defendants' motion to dismiss or stay on October 9, 2024 at 3:15 p.m.
|
|
Request |
|
|
|
35 |
Filed: 10/8/2024, Entered: None |
Public Version |
|
[Redacted Public Version] Defendants' Brief in Opposition to Plaintiff's Motions to Expedite and for Entry of a Status Quo Order, and in Support of Defendants' Motion to Dismiss or Stay
|
|
Request |
|
|
|
34 |
Filed: 10/8/2024, Entered: None |
Judicial Action Form - Non Trial |
|
Telephonic Argument and Rulings on Plaintiff’s Motions to Expedite and for an SQO. Parties presented argument on the motions to expedite and for an SQO. Motions granted. Any reply regarding the pending motion to dismiss is due October 3, 2024, at 5 p.m. Parties are to confer on a proposed form of order for the SQO, to be submitted by October 4, 2024, at 4 p.m., and a case schedule, with parties to contact the court re: trial dates on October 4, 2024. See transcript.
|
|
Request |
|
|
|
33 |
Filed: 10/5/2024, Entered: None |
Order |
|
Status Quo Order
|
|
Request |
|
|
|
32 |
Filed: 10/4/2024, Entered: None |
Letter |
|
Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A. Barlow on behalf of Plaintiff TPG RE III Volt Holdings, L.P. regarding competing forms of [Proposed] Status Quo Order
- Attachment 1 Exhibit A to Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A. Barlow on behalf of Plaintiff TPG RE III Volt Holdings, L.P. regarding competing forms of [Proposed] Status Quo Order
- Attachment 2 [CONFIDENTIAL FILING] ExhibitD B-C to Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A. Barlow on behalf of Plaintiff TPG RE III Volt Holdings, L.P. regarding competing forms of [Proposed] Status Quo Order
- Attachment 3 [Proposed] Status Quo Order
|
|
Request |
|
|
|
31 |
Filed: 10/4/2024, Entered: None |
Letter |
|
Letter to the Honorable Paul A. Fioravanti, Jr. from Jaclyn C. Levy, Esquire enclosing Defendants Quantum Loophole, Inc. and Quantum Dev, LLC’s [Proposed] Status Quo Order
- Attachment 1 [Proposed] Status Quo Order (filed on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
29 |
Filed: 10/3/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Lilianna Anh P. Townsend of Potter Anderson & Corroon LLP on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
30 |
Filed: 10/3/2024, Entered: None |
Reply Brief |
|
[CONFIDENTIAL FILING] Reply Brief in Further Support of Defendants’ Motion to Dismiss or, Alternatively, Stay
- Attachment 1 Compendium of Authorities Cited in the Reply Brief in Further Support of Defendants’ Motion to Dismiss or, Alternatively, Stay
- Attachment 2 Letter to the Honorable Paul A. Fioravanti, Jr. from Jaclyn C. Levy, Esquire enclosing courtesy copies of the Reply Brief in Further Support of Defendants’ Motion to Dismiss or, Alternatively, Stay, and supporting Compendium of Authorities
- Attachment 3 Tab 1 to Compendium of Authorities Cited in the Reply Brief in Further Support of Defendants’ Motion to Dismiss or, Alternatively, Stay
|
|
|
|
|
|
27 |
Filed: 10/2/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Verified Complaint Pursuant to 6 Del. C. § 18-110
|
|
Request |
|
|
|
28 |
Filed: 10/2/2024, Entered: None |
Public Version |
|
[REDACTED PUBLIC VERSION] Plaintiff's Opening Brief in Support of its Motions for a Status Quo Order and Expedited Proceedings
|
|
Request |
|
|
|
26 |
Filed: 10/2/2024, Entered: None |
Minute Order |
|
The court is granting the motion for entry of a status quo order for the reasons stated in the court's ruling at the conclusion of today's telephonic hearing on the motion. The parties are to confer in good faith and to submit a stipulated status quo order by 4:00 p.m. on Friday, October 4, 2024, in accordance with the court's ruling.Linked from (2)
|
|
Request |
|
|
|
25 |
Filed: 10/2/2024, Entered: None |
Order |
|
Granted with Modifications ([Proposed] Order Granting Plaintiff's Motion for Expedited Proceedings)
|
|
Request |
|
|
|
24 |
Filed: 10/1/2024, Entered: None |
Minute Order |
|
In advance of tomorrow’s hearing, the parties should consider the following: 1. A status quo order appears to be in order. 2. Plaintiff’s proposed order is overbroad; the status quo does not appear to be that TPG is in managing either entity at this stage. 3. Catellus’s continuing involvement in the project appears to be the status quo. 4. Defendants’ motion to dismiss or stay is not being considered tomorrow. The parties would be well advised to confer in advance of tomorrow’s hearing.Linked from (1)
|
|
Request |
|
|
|
22 |
Filed: 10/1/2024, Entered: None |
Reply Brief |
|
[CONFIDENTIAL FILING] Plaintiff's Reply Brief in Further Support of its Motions for a Status Quo Order and Expedited Proceedings
|
|
|
|
|
|
23 |
Filed: 10/1/2024, Entered: None |
Entry of Appearance |
|
Notice of Entry of Appearance of Hayden J. Driscoll of Quinn Emanuel Urquhart & Sullivan LLP on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 1 Transmittal Affidavit of Hayden J. Driscoll in Support of Plaintiff's Reply Brief in Further Support of its Motions for a Status Quo Order and Expedited Proceedings
- Attachment 2 Compendium of Transcript Authorities Cited in Plaintiff's Reply Brief in Further Support of its Motions for a Status Quo Order and Expedited Proceedings
- Attachment 3 Letter to The Honorable Paul A. Fioravanti, Jr. from Michael A. Barlow enclosing courtesy copies of Plaintiff's Reply Brief in Further Support of its Motions for a Status Quo Order and Expedited Proceedings and supporting papers
- Attachment 4 [CONFIDENTIAL FILING] Exhibits 1-2 to Transmittal Affidavit of Hayden J. Driscoll in Support of Plaintiff's Reply Brief in Further Support of its Motions for a Status Quo Order and Expedited Proceedings
- Attachment 5 Exhibits 3-4 to Transmittal Affidavit of Hayden J. Driscoll in Support of Plaintiff's Reply Brief in Further Support of its Motions for a Status Quo Order and Expedited Proceedings
- Attachment 6 [CONFIDENTIAL FILING] Exhibits 5-10 to Transmittal Affidavit of Hayden J. Driscoll in Support of Plaintiff's Re
- Attachment 7 [CONFIDENTIAL FILING] Exhibits 11-15 to Transmittal Affidavit of Hayden J. Driscoll in Support of Plaintiff's Reply Brief in Further Support of its Motions for a Status Quo Order and Expedited Proceedings
|
|
Request |
|
|
|
20 |
Filed: 10/1/2024, Entered: None |
Summons |
|
Summons Pursuant to 6 Del. C. § 18-105 and 6 Del. C. § 2708 to Quantum Dev, LLC
|
|
Request |
|
|
|
21 |
Filed: 10/1/2024, Entered: None |
Summons |
|
Summons Pursuant to 8 Del. C. § 321 and 6 Del. C. § 2708 to Quantum Loophole, Inc.
- Attachment 1 Affidavit of Acceptance of Service
- Attachment 2 Exhibit A to Affidavit of Acceptance of Service
- Attachment 3 Affidavit of Acceptance of Service
- Attachment 4 Exhibit A to Affidavit of Acceptance of Service
|
|
Request |
|
|
|
17 |
Filed: 10/1/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Bankler, Christopher R.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Christopher R. Bankler on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
18 |
Filed: 10/1/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Martinez, Cody A.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Cody A. Martinez on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
19 |
Filed: 10/1/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Tavallaee, Meredith S.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Meredith S. Tavallaee on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC)
|
|
Request |
|
|
|
14 |
Filed: 9/30/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Christopher R. Bankler on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
15 |
Filed: 9/30/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Cody A. Martinez on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
16 |
Filed: 9/30/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Meredith S. Tavallaee on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 1 Certification of Christopher R. Bankler in support of Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 2 Bankler, Christopher R.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Christopher R. Bankler on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 3 Certification of Cody R. Martinez in support of Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 4 Martinez, Cody A.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Cody A. Martinez on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 5 Certification of Meredith S. Tavallaee in support of Motion for Admission Pro Hac Vice on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
- Attachment 6 Tavallaee, Meredith S.: [Proposed] Order Granting Motion for Admission Pro Hac Vice of Meredith S. Tavallaee on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
13 |
Filed: 9/30/2024, Entered: None |
Motion |
|
Defendants' Motion to Dismiss or, Alternatively, Stay
- Attachment 1 [Proposed] Order Granting Defendants' Motion to Dismiss or, Alternatively, Stay
- Attachment 2 [CONFIDENTIAL FILING] Defendants' Brief in Opposition to Plaintiff's Motions to Expedite and for Entry of a Status Quo Order, and in support of Defendants' Motion to Dismiss or Stay
- Attachment 3 Letter to the Honorable Paul A. Fioravanti, Jr. from Jaclyn C. Levy, Esquire enclosing courtesy copies of Defendants' Brief in Opposition to Plaintiff's Motions to Expedite and for Entry of a Status Quo Order, and in support of Defendants' Motion to Dismiss or Stay, and all supporting documents
- Attachment 4 Exhibits A-B to Defendants’ Brief in Opposition to Plaintiff’s Motions to Expedite and for Entry of a Status Quo Order, and in support of Defendants’ Motion to Dismiss or Stay
- Attachment 5 [Proposed] Status Quo Order
- Attachment 6 Compendium of Authorities Cited in Defendants’ Brief in Opposition to Plaintiff’s Motions to Expedite and for Entry of a Status Quo Order, and in support of Defendants’ Motion to Dismiss or Stay
- Attachment 7 Tabs 1-3 to Compendium of Authorities Cited in Defendants’ Brief in Opposition to Plaintiff’s Motions to Expedite and for Entry of a Status Quo Order, and in support of Defendants’ Motion to Dismiss or Stay
|
|
Request |
|
|
|
11 |
Filed: 9/30/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Burck, William A.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.)
|
|
Request |
|
|
|
12 |
Filed: 9/30/2024, Entered: None |
Order Pro Hac Vice |
|
Granted (Forst, Keith H.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.)
|
|
Request |
|
|
|
10 |
Filed: 9/30/2024, Entered: None |
Issuance of Summons |
|
9-30-2024 - Issued (1) 8 Del. C. 321 and 6 Del. C. 2708 summons to special process server and (1) copy, Issued (1) 6 Del. C. 18-105 and 6 Del. C. 2708 summons to special process server and (3 copies).
|
|
Request |
|
|
|
8 |
Filed: 9/30/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of William A. Burck of Quinn Emanuel Urquhart & Sullivan, LLP on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
|
|
Request |
|
|
|
9 |
Filed: 9/30/2024, Entered: None |
Motion for Pro Hac Vice |
|
Motion for Admission Pro Hac Vice of Keith H. Forst of Quinn Emanuel Urquhart & Sullivan, LLP on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 1 Certification of William A. Burck in support of Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 2 Burck, William A.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 3 Certification of Keith H. Forst in support of Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
- Attachment 4 Forst, Keith H.: [Proposed] Order Granting Motion for Admission Pro Hac Vice on behalf of Plaintiff TPG RE III Volt Holdings, L.P.
|
|
Request |
|
|
|
7 |
Filed: 9/30/2024, Entered: None |
Entry of Appearance |
|
Entry of Appearance of Jaclyn C. Levy, Mathew A. Golden, and Ryan M. Crowley of Potter Anderson & Corroon LLP on behalf of Defendants Quantum Loophole, Inc. and Quantum Dev, LLC
|
|
Request |
|
|
|
6 |
Filed: 9/27/2024, Entered: None |
Letter |
|
Letter to Counsel from Vice Chancellor Fioravanti, dated September 27, 2024, confirming a telephonic hearing in this matter on the Motions to Expedite & for Status Quo Order for Wednesday, October 2 at 3:15 p.m.
|
|
Request |
|
|
|
5 |
Filed: 9/27/2024, Entered: None |
Opening Brief |
|
[CONFIDENTIAL FILING] Plaintiff's Opening Brief in Support of its Motions for a Status Quo Order and Expedited Proceedings
|
|
|
|
|
|
4 |
Filed: 9/26/2024, Entered: None |
Exhibit(s) |
|
Tabs 5-6 to Compendium of Transcript Authorities Cited in Plaintiff's Opening Brief in Support of its Motions for a Status Quo Order and Expedited Proceedings
- Attachment 1 Tabs 7-8 to Compendium of Transcript Authorities Cited in Plaintiff's Opening Brief in Support of its Motions for a Status Quo Order and Expedited Proceedings
|
|
Request |
|
|
|
3 |
Filed: 9/26/2024, Entered: None |
Compendium |
|
Compendium of Transcript Authorities Cited in Plaintiff's Opening Brief in Support of its Motions for a Status Quo Order and Expedited Proceedings
- Attachment 1 Tabs 1-2 to Compendium of Transcript Authorities Cited in Plaintiff's Opening Brief in Support of its Motions for a Status Quo Order and Expedited Proceedings
- Attachment 2 Tabs 3-4 to Compendium of Transcript Authorities Cited in Plaintiff's Opening Brief in Support of its Motions for a Status Quo Order and Expedited Proceedings
|
|
Request |
|
|
|
2 |
Filed: 9/26/2024, Entered: None |
Exhibit(s) |
|
[CONFIDENTIAL FILING] Exhibits 1-6 to Verified Complaint Pursuant to 6 Del. C. § 18-110
- Attachment 1 Exhibits 7-9 to Verified Complaint Pursuant to 6 Del. C. § 18-110
- Attachment 2 [CONFIDENTIAL FILING] Exhibit 10 to Verified Complaint Pursuant to 6 Del. C. § 18-110
- Attachment 3 Exhibits 11-13 to Verified Complaint Pursuant to 6 Del. C. § 18-110
- Attachment 4 Exhibits 14-15 to Verified Complaint Pursuant to 6 Del. C. § 18-110
- Attachment 5 Letter to the Register in Chancery from Michael A. Barlow certifying compliance with Court of Chancery Rule 5.1
|
|
|
|
|
|
1 |
Filed: 9/26/2024, Entered: None |
Complaint with 3 or More Defendants |
|
[CONFIDENTIAL FILING] Verified Complaint Pursuant to 6 Del. C. § 18-110
- Attachment 1 Verification of Thomas "Ty" Newell to Verified Complaint Pursuant to 6 Del. C. § 18-110
- Attachment 2 Supplemental Information Pursuant to Rule 3(B) of the Rules of the Court of Chancery with Statement of Good Cause
- Attachment 3 Plaintiff's Motion for Expedited Proceedings
- Attachment 4 Plaintiff's Motion for Entry of Status Quo Order
- Attachment 5 Letter to The Honorable Kathaleen St. J. McCormick from Michael A. Barlow enclosing courtesy copies and requesting prompt assignment
- Attachment 6 Letter to the Register in Chancery from Michael A. Barlow on behalf of Plaintiff providing Summons Instructions
- Attachment 7 [Proposed] Order Granting Plaintiff's Motion for Expedited Proceedings
- Attachment 8 [Proposed] Status Quo Order
|
|
|
|