MOTION for Eric Lechtzin to Withdraw as Attorney . Document filed by Nicole Salerno.Filed In Associated Cases: 1:14-md-02543-JMF et al..(Lechtzin, Eric)
ORDER NO. 176 re: (8349 in 1:14-md-02543-JMF) Order. [Regarding Monthly Reporting on Active and Related Cases] Upon consideration of Lead Counsel and New GM's proposed order, and for good cause shown in light of the volume of Active personal injury and wrongful death cases remaining in the MDL, it is hereby ORDERED that: 1. The parties are relieved of their obligation to submit a Monthly Update pursuant to Order No. 175 (Docket No. 8349). 2. The parties shall update the Court if and when there are any material new developments. SO ORDERED. (Signed by Judge Jesse M. Furman on 5/24/2021) Filed In Associated Cases: 1:14-md-02543-JMF et al. (va)
MEMORANDUM OF LAW in Opposition re: (8415 in 1:14-md-02543-JMF) MOTION Approval of Allocation of Attorneys' Fees and Costs re: (8307) Order, Terminate Motions,,,,,,,,,,,,,,,,,, Notice of Motion and Economic Loss Class Counsel's Motion for Approval of Allocation of Attorneys' Fees and Costs . Document filed by CBE2F08. (Attachments: # 1 Affidavit Declaration of CBE2F08)Filed In Associated Cases: 1:14-md-02543-JMF et al..(CBE2F08)
ORDER NO 175: [Regarding Monthly Reporting on Active and Related Cases]: Upon consideration of Lead Counsel and New GM's proposed order, and for good cause shown, it is hereby ORDERED that: Each month, the parties shall submit a joint letter to the Court (the "Monthly Update") providing updates regarding: (1) Active personal injury and wrongful death plaintiffs in MDL 2543; (2) the status of New GM's settlement efforts; and (3) matters of possible significance in cases related to MDL 2543 proceeding in other courts, including state courts. With respect to Active personal injury and wrongful death plaintiffs in MDL 2543, the Monthly Update shall include: as set forth herein. With respect to New GM's settlement efforts, the Monthly Update shall include: as set forth herein. With respect to matters of possible significance in proceedings related to MDL 2543, the Monthly Update shall include: as set forth herein. Each month, New GM shall also submit to the Court via e-mail a spreadsheet of the remaining Active personal injury and wrongful death plaintiffs, including any upcoming deadlines in each plaintiff's case and the order associated with the deadline. SO ORDERED. (Signed by Judge Jesse M. Furman on 1/19/2021) Filed In Associated Cases: 1:14-md-02543-JMF et al. (ama)
NOTICE OF FILING OF OFFICIAL TRANSCRIPT Notice is hereby given that an official transcript of a CONFERENCE proceeding held on 12/18/20 has been filed by the court reporter/transcriber in the above-captioned matter. The parties have seven (7) calendar days to file with the court a Notice of Intent to Request Redaction of this transcript. If no such Notice is filed, the transcript may be made remotely electronically available to the public without redaction after 90 calendar days...Filed In Associated Cases: 1:14-md-02543-JMF et al..(McGuirk, Kelly)
TRANSCRIPT of Proceedings re: CONFERENCE held on 12/18/2020 before Judge Jesse M. Furman. Court Reporter/Transcriber: Andrew Walker, (212) 805-0300. Transcript may be viewed at the court public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. After that date it may be obtained through PACER. Redaction Request due 1/13/2021. Redacted Transcript Deadline set for 1/25/2021. Release of Transcript Restriction set for 3/23/2021.Filed In Associated Cases: 1:14-md-02543-JMF et al..(McGuirk, Kelly)
ORDER APPROVING CLASS COUNSEL'S RULE 23(h) MOTION FOR APPROVAL OF AWARD OF ATTORNEYS' FEES AND EXPENSES AND SERVICE AWARDS TO LEAD PLAINTIFFS. IT IS HEREBY ORDERED, ADJUDGED, AND DECREED that the Motion is GRANTED. The Court further finds:The Court awards Plaintiffs' counsel (i) $24,585,272.06 in attorneys' fees and (ii) $9,914,727.94 to reimburse expenses incurred in connection with this litigation (and that have not been previously reimbursed from the Common Benefit Fund). Pursuant to the Settlement Agreement, New GM is ordered to pay the fees and costs no later than 30 days after the later of the Final Effective Date or the expiration of any appeal period or the resolution of any and all appeals relating to the Attorneys' Fees and Expenses award. The Class Representatives have devoted considerable time and effort to this litigation, including supervising counsel and responding to discovery. The result obtained for the Class would not have been possible without the participation of these Plaintiffs. The Court awards $2000 to Class Representatives who were deposed,4 and $1000 to Class Representatives who were not deposed. These Plaintiffs are identified in Exhibits A and B, respectively. The Court finds that these awards are reasonable, and fall squarely within the range approved for similar cases in this Circuit. See, e.g., Alaska Elec. Pension Fund, 2018 U.S. Dist. LEXIS 202526, at *17-18; Godson v. Eltman, Eltman, & Cooper, P.C., 328 F.R.D. 35, 60 (W.D.N.Y. 2018); Kindle v. Dejana, 308 F. Supp. 3d 698, 718 (E.D.N.Y. 2018); Jermyn v. Best Buy Stores, L.P., No. 08-CV-214 (CM), 2012 WL 2505644, at *8 (S.D.N.Y. June 27, 2012); AFTRA, 2012 WL 2064907, at *3. The Court declines to provide Service Awards to Lawrence and Celestine Elliott (see ECF No. 8201), who did not serve as Class Representatives. The Clerk of Court is directed to terminate 14-MD-2543, ECF No. 8159. SO ORDERED., Motions terminated: (8159 in 1:14-md-02543-JMF) MOTION for Attorney Fees Interim Class Counsel's Rule 23(h) Motion for Approval of Award of Attorneys' Fees and Expenses and Service Awards to Lead Plaintiffs. filed by GM Ignition Switch MDL Plaintiffs. (Signed by Judge Jesse M. Furman on 12/18/20) Filed In Associated Cases: 1:14-md-02543-JMF et al. (yv)
FINAL ORDER AND FINAL JUDGMENT GRANTING FINAL APPROVAL OF THE ECONOMIC LOSS CLASS ACTION SETTLEMENT, CONFIRMING CERTIFICATION OF THE ECONOMIC LOSS SETTLEMENT CLASS, AND DISMISSING ALL ACTIONS WITH PREJUDICE: IT IS HEREBY ORDERED, ADJUDGED, AND DECREED: Jurisdiction. The Court has personal jurisdiction over all Plaintiffs, the Class and all Class Members, New GM, the GUC Trust, and AAT, as well as subject matter jurisdiction over the claims asserted in the Fifth Amended Consolidated Complaint filed in In re: General Motors LLC Ignition Switch Litigation, Case No. 14-MD-2543 (JMF) on September 8, 2017 ("5ACC") and the Actions. Venue in the Southern District of New York is proper. As further set forth in this Order. Final Approval of Class Settlement. In accordance with its Final Approval Order, the Court hereby grants final approval to the Settlement Agreement as fair, reasonable, and adequate pursuant to Federal Rule of Civil Procedure 23(e). The Settlement Agreement provides ample benefits to the Class and avoids protracted litigation, among numerous other advantages. The Court finds that the Settlement Agreement, with respect to Class Members who are minors, lack capacity, or are incompetent, is fair, reasonable, and adequate. The Court authorizes the Parties to implement the terms of the Settlement Agreement and enjoins the Parties from failing to implement the terms. Overruling of Objections. The Class Member objection filed by Mr. Richard H. Warren (ECF No. 8122) is overruled. The objection filed by Ms. Kisha M. Davis, as personal representative of the estate of her mother, Class Member Mary L. Davis (ECF No. 8216), is also overruled. Class Certification for Settlement Purposes Only. As further set forth in this Order. Common Fund. Pursuant to the Settlement Agreement, all Settlement Implementation Expenses shall be paid from the Common Fund, which was established as a Qualified Settlement Fund under § 468B(d)(2) of the Internal Revenue Code and Treasury Regulation § 1.468B-1 pursuant to this Court's Preliminary Approval Order, by the court-approved Qualified Settlement Fund Administrator and Trustee, Flora Bian of JND; however, all such Settlement Implementation Expenses shall be paid from the Common Fund only upon either (i) written approval by Plaintiffs' Class Counsel, New GM, and the GUC Trust or (ii) leave of Court. The Court finds that, pursuant to Paragraph 88.a of the Settlement Agreement, following entry of the GUC Trust Approval Order, the Withdrawal Order, and the Preliminary Approval Order, New GM and the GUC Trust deposited, respectively, $8,800,000.00 and $2,000,000.00 into the Common Fund. As further set forth in this Order. Entry of Final Judgment. The Clerk of the Court is expressly directed to immediately enter this Final Order and Final Judgment in the Actions listed in Appendix C. The Clerk is further directed to terminate 14-MD-2543, ECF No. 8240 and 14-MC-2543, ECF No. 409 and to close Elliott, et al. v. General Motors LLC, et al., No. 14-CV-8382; Bledsoe, et al. v. General Motors LLC, No. 14-CV-7631; and Sesay, et al. v. General Motors LLC, et al., No. 14-CV-6018. As further set forth in this Order. SO ORDERED. (Signed by Judge Jesse M. Furman on 12/18/2020) Filed In Associated Cases: 1:14-md-02543-JMF et al. (ks)
MEMORANDUM OPINION AND ORDER re: (8156 in 1:14-md-02543-JMF) MOTION for Attorney Fees . filed by Goodwin Procter LLP. In sum, any claim to attorney's fees that Goodwin may have pursuant to the terms of its private engagement letter with Lead Counsel has no bearing on whether the Court should approve the Settlement Agreement. Nothing in the Settlement Agreement precludes Goodwin from pursuing such claims as part of the post-settlement allocation process or in a later and separate action for breach of the private engagement letter. And nothing in Order No. 42 (or Rule 23(h) of the Federal Rules of Civil Procedure) exempts Goodwin from the procedure that now applies to all counsel seeking a share of the fee award. Most importantly, Goodwin's concerns regarding the ultimate share of attorney's fees to which it may be entitled provide no basis for the Court to reject the Settlement Agreement as unfair, unreasonable, or inadequate for the class. To the contrary, Goodwin's requested relief would harm the very class members this Court is charged with protecting in its review of the Settlement Agreement. For these reasons, Goodwin's objection was overruled and its motion was denied. The Clerk of Court is directed to terminate 14-MD-2543, ECF No. 8156 and 14-MC-2543, ECF No. 405. SO ORDERED. (Signed by Judge Jesse M. Furman on 12/18/20) Filed In Associated Cases: 1:14-md-02543-JMF et al. (yv)
***DELETED DOCUMENT. Deleted document number (7962) ORDER NO. 169. The document was incorrectly filed in this case. Filed In Associated Cases: 1:14-md-02543-JMF et al.(ks)
***DELETED ENTRY. Deleted entry Class Action Certified. The entry was incorrectly filed in this case. Filed In Associated Cases: 1:14-md-02543-JMF et al.(yv)
Set/Reset Deadlines: ( Motions due by 9/28/2020.), Set/Reset Hearings:( Fairness Hearing set for 12/18/2020 at 09:30 AM in Courtroom 1105, 40 Centre Street, New York, NY 10007 before Judge Jesse M. Furman.) Associated Cases: 1:14-md-02543-JMF et al.(yv)
ORDER: On April 12, 2019, the Court cancelled the status conference scheduled for April 18, 2019. See Docket No. 6667. No later than one week from the date of this Order, the parties shall submit a joint letter advising the Court of whether or when there is a need for a status conference and, if so, (1) what topics the conference should cover (including but not limited to whether the conference should be limited to personal injury and wrongful death cases in light of the pending class certification and summary judgment motions as to the economic loss claims); and (2) dates upon which all relevant counsel are available. SO ORDERED. (Signed by Judge Jesse M. Furman on 5/2/2019) Filed In Associated Cases: 1:14-md-02543-JMF et al.(jca) (Entered: 05/02/2019)
ORDER NO. 163 [Regarding Modifications to Agreed Preservation Order Nos. 2-6]: The Court, having received and reviewed the parties' April 25, 2019 request to modify or withdraw the Agreed Preservation Orders governing New GM's obligations for maintaining and preserving recalled parts covered by certain National Highway Traffic Safety Administration ("NHTSA") Recall Campaigns (Docket No. 6708), HEREBY ORDERS, ADJUDGES, and DECREES that the following Agreed Preservation Orders shall be modified and/or withdrawn as follows: Agreed Preservation Order No. 2 (Docket No. 279) Withdrawn except as to the preservation obligations relating to parts covered by NHTSA Recall Campaigns 14V-118 and 14V-153, which remain operative; Agreed Preservation Order No. 3 (Docket No. 344) Withdrawn and dissolved in its entirety; Agreed Preservation Order No. 4 (Docket No. 403) Withdrawn and dissolved in its entirety; Agreed Preservation Order No. 5 (Docket No. 605) Withdrawn and dissolved in its entirety; and Agreed Preservation Order No. 6 (Docket No. 880) Withdrawn except as to the preservation obligations relating to parts covered by NHTSA Recall Campaigns 14V-346 and 14V-394, which remain operative. Should any party to this litigation object to the foregoing modifications and/or withdrawals, such objection(s) shall be filed on the main MDL docket within twenty-one (21) days of the entry of this Order, and shall specify the particular recall campaign preservation obligation that is the subject of the objection, as well as the basis for that objection. (Signed by Judge Jesse M. Furman on 4/29/2019) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 04/29/2019)
ORDER NO. 162 [Regarding Next Steps For 18 Post-Sale Personal Injury Claims]: By Friday, March 15, 2019, New GM will provide Lead Counsel a list of plaintiffs it has identified as those it believes should be subject to dispositive motion practice in light of the Court's December 28, 2017 Opinion and Order. See In re GM LLC Ignition Switch Litig., 2017 WL 6729295, at *1 (S.D.N.Y. Dec. 28, 2017). By Friday, March 22, 2019, New GM and Lead Counsel shall submit a joint letter (and, if appropriate, a proposed order) with respect to how the Court should address the claims of those plaintiffs. By Friday, March 29, 2019, the parties are to meet and confer and provide the Court joint or competing lists of plaintiffs who may be eligible for Suggestion of Remand No. 1. By Monday, April 15, 2019, Lead Counsel and Counsel for New GM shall submit to the Court a joint letter addressing the parties' recommendations as to the proper venue for remand or transfer of each of the plaintiffs subject to Suggestion of Remand No. 1. (As further set forth in this order) (Signed by Judge Jesse M. Furman on 3/8/2019) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 03/08/2019)
MDL CONSOLIDATION ORDER: Pursuant to the June 12, 2014 Order of the Judicial Panel on Multidistrict Litigation (JPML), In re: General Motors Ignition Switch Litigation, 14-MD-2543, has been assigned to this Court for coordinated or consolidated pretrial proceedings. 14-MD-2543, Docket No. 1. As this case, Beach v. General Motors LLC, 19-CV-2004, has been directly filed in this district and, based on the Court's review, appears to be within the scope of the multidistrict litigation, it is hereby ORDERED that it is transferred to 14-MD-2543 for coordinated or consolidated pretrial proceedings, subject to the process for objections set forth in Section II of Order No. 8. See 14-MD-2543, Docket No. 249, at 4-5. Counsel is advised to consult the docket in 14-MD-2543, including Order Nos. 1 and 25 (14-MD-2543, Docket Nos. 19 and 422, respectively), as well as the GM Ignition Switch MDL website (http://gmignitionmdl.com), for other pertinent information.The Clerk of Court is directed to docket this Order in the above-captioned cases. SO ORDERED. (Signed by Judge Jesse M. Furman on 3/06/2019) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ama) (Entered: 03/06/2019)
ORDER NO. 160 [Regarding Next Steps for Remaining Post-Sale Personal Injury Claims]: By Friday, May 31, 2019, each Wave Three plaintiff shall refile his or her complaint or an amended complaint in this Court and pay any filing fee associated with filing a complaint pursuant to 28 U.S.C. § 1914(a), or be dismissed without prejudice. Targeted, case-specific fact discovery of Wave Three plaintiffs shall commence on Wednesday, May 1, 2019, and shall conclude by Friday, September 20, 2019. Wave Three plaintiffs shall present their expert witnesses for deposition on or before Monday, December 2, 2019. By Wednesday, July 10, 2019, New GM will file its motion to dismiss Wave Three claims that New GM believes should be dismissed for failure to state a claim. Plaintiffs desiring to amend their complaints will file amended complaints on their respective individual dockets by Monday September 23, 2019. By June 15, 2019, Plaintiffs shall depose New GM's experts. By Friday, April 19, 2019, New GM shall file any motions to exclude Plaintiffs' expert under Federal Rule of Evidence 702 and Daubert and for summary judgment on the issue "of whether an unintended ignition switch and/or key rotation could have and did occur prior to air bag deployment." The motions shall be supported by a single, consolidated memorandum of law not to exceed thirty-five pages. By Friday, May 17, 2019, Plaintiffs shall file any opposition, supported by a single, consolidated memorandum of law not to exceed thirty-five pages; By Friday, June 7, 2019, New GM shall file any reply, in the form of a single, consolidated memorandum of law not to exceed fifteen pages. (Amended Pleadings due by 9/23/2019. Deposition due by 12/2/2019. Fact Discovery due by 9/20/2019. Motions due by 7/10/2019. Responses due by 5/17/2019. Replies due by 6/7/2019.) (Signed by Judge Jesse M. Furman on 2/26/2019) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 02/26/2019)
AGREED AMENDED ORDER REGARDING THE PRESERVATION OF IGNITION SWITCH PARTS GOVERNED BY NHTSA RECALL CAMPAIGN 14v-047000: New GM shall undertake reasonable efforts to assist any named plaintiff in a case that has been transferred to MDL 2543 (or pending in another venue) with preserving ignition switch parts covered by NHTSA Recall Campaign 14v-047000 that may be relevant to the plaintiff's claims. To allow New GM to do so, before a recall repair is performed, a named plaintiff (or his or her counsel) must provide both the dealership replacing the ignition switch parts and New GM with reasonable, advance notice that the plaintiff wishes to have parts preserved for purposes of litigation. New GM will then use reasonable efforts to arrange for the dealership making the repair to return the ignition switch parts to New GM for storage and preservation. This Order shall also apply to related cases later filed in, removed to, or transferred to this Court. (As further set forth in this order) SO ORDERED. (Signed by Judge Jesse M. Furman on 2/19/2019) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 02/19/2019)
ORDER NO. 159 [Regarding the End of the Bellwether Trial Process for Personal Injury and Wrongful Death Cases]: As far as the Court is concerned, the settlement of the last two bellwether cases set for trial brings to a close the bellwether trial process in the MDL. That said, the parties should meet and confer with respect to whether the Court should schedule any additional bellwether trials in light of the settlements. The parties should be prepared to address that issue and, more broadly, the next steps for the remaining cases in Phase 2, Category C - including but not limited to whether or when those cases should be remanded (or transferred) to their respective transferor court - at the next status conference, which is currently scheduled for January 23, 2019. SO ORDERED. (Signed by Judge Jesse M. Furman on 12/12/2018) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 12/13/2018)
ORDER NO. 158 [Regarding Application of the Court's Conclusions to the Fifth Amended Consolidated Complaint]: Accordingly, and for good cause shown, the Court ORDERS as follows: I. APPLICATION OF THE COURT'S CONCLUSIONS OF LAW TO THE 5ACC. A. Statutory Consumer Fraud Claims: Plaintiff Janelle Davis's statutory consumer fraud claim is dismissed with prejudice pursuant to the Court's September 12, 2018 order (Docket No. 6028), subject to Plaintiff's right to appeal. (See 5ACC Paragraph 152). B. Unjust Enrichment Claims: The following Plaintiffs' unjust enrichment claims are dismissed with prejudice pursuant to the Court's September 12, 2018 order (Docket No. 6028), subject to Plaintiffs' right to appeal. (Paragraph citations are to the 5ACC.) II. NO ANSWER TO THE 5ACC REQUIRED. No answer or other response to the 5ACC is required under the Court's prior orders. (See, e.g., Order No. 114 § IV, Docket No. 3431; Order No. 131 Paragraph 12, Docket No. 4499; Docket No. 4522 (making clear that the only changes from the Fourth Amended Consolidated Complaint to the 5ACC were to substitute plaintiffs, not to substantively alter any allegations or claims)). SO ORDERED. (Signed by Judge Jesse M. Furman on 11/27/2018) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 11/28/2018)
ORDER NO. 157 [Regarding the November 2, 2018 Status Conference]: The Court, having held a status conference on November 2, 2018, and having given counsel an opportunity to be heard on the agenda items set forth in the parties' October 26, 2018 tentative agenda letter and the Court's November 1, 2018 Order (Docket Nos. 6220, 6250), issues this Order to memorialize the actions taken and rulings made at the status conference. I. NEXT STATUS CONFERENCE A status conference will be held Wednesday, January 23, 2019, at 9:00 a.m. EST in Courtroom 1105 of the Thurgood Marshall United States Courthouse, 40 Centre Street, New York, New York. Upon reflection, the Court agrees with Lead Counsel that it is appropriate to set at least a tentative date for the economic loss bellwether trial. Unless and until the Court orders otherwise, trial will begin on Monday, January 13, 2020, at 9:00 a.m. (For now, the Court is allotting a maximum of five weeks for the trial.) The parties should be prepared to address at a future status conference a proposed schedule for pretrial deadlines. V. SETTLEMENT Consistent with the Court's comments at the Status Conference, the parties should continue to keep the Court apprised of developments regarding settlement. SO ORDERED. (Jury Trial set for 1/13/2020 at 09:00 AM before Judge Jesse M. Furman. Status Conference set for 1/23/2019 at 09:00 AM in Courtroom 1105, 40 Centre Street, New York, NY 10007 before Judge Jesse M. Furman.) (Signed by Judge Jesse M. Furman on 11/8/2018) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 11/08/2018)
CERTIFICATE OF SERVICE of Letter served on Dalton Berry on November 1, 2018. Service was made by Mail. Document filed by General Motors LLC. (Attachments: # 1 Exhibit 1)Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(Bloomer, Andrew) (Entered: 11/01/2018)
ORDER OF DISMISSAL: In light of the foregoing, the claims of Dalton Berry are hereby DISMISSED with prejudice. See In re World Trade Ctr. Disaster Site Litig., 722 F.3d at 487 (holding that "the court did not exceed the bounds of its discretion in dismissing the noncompliant plaintiffs' complaints"). The Clerk of Court is directed to terminate Mr. Berry as plaintiff in both 14-MD-2543 and his respective member case, and in the event all other parties have been terminated, to close the case. In accordance with the June 18 Order, New GM shall serve a copy of this Order on Mr. Berry and file proof of such service. SO ORDERED. dalton berry terminated. (Signed by Judge Jesse M. Furman on 10/30/2018) Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(ne) (Entered: 10/30/2018)
NOTICE of Second Notice of Non-Compliance Regarding the Affected Plaintiff re: (45 in 1:17-cv-09323-JMF, 5715 in 1:14-md-02543-JMF) Order on Motion to Withdraw as Attorney,,,,,,,. Document filed by General Motors LLC. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit A)Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(Bloomer, Andrew) (Entered: 10/29/2018)
ORDER NO. 156 [Regarding Next Steps for Pre-Sale Non-Ignition Switch Plaintiffs Subject to Order No. 148 Motions or Notices]: On June 22, 2018, the Court entered Order No. 152, directing Lead Counsel and counsel for New GM to meet and confer and submit joint or competing letters to the Court regarding next steps for certain Pre-Sale plaintiffs who filed amended and severed complaints pursuant to the Order No. 148 motions and notices process. (See Order No. 152, Docket No. 5789, at Paragraph 4.) On September 26, 2018, after meeting and conferring, Lead Counsel and counsel for New GM submitted a joint letter proposing next steps for these plaintiffs. The Court hereby adopts and orders the following procedures. 2. "No Plausibly Pleaded Defect/Causation" Cases: By Wednesday, December 5, 2018, with respect to the Pre-Sale Non-Ignition Switch Plaintiffs' operative complaints, New GM may file on the main MDL docket motions to dismiss the claims of those Pre-Sale Non-Ignition Switch Plaintiffs (if any) that New GM believes fail to state a claim under Federal Rule of Civil Procedure 12(b)(6). By Wednesday, January 9, 2019, counsel for Pre-Sale Non-Ignition Switch Plaintiffs included in the motions shall file on the main MDL docket (1) a list of the plaintiffs who agree to voluntarily dismiss their claims; (2) a list of plaintiffs as to whom counsel plans to move to withdraw; and (3) a list of the plaintiffs who intend to press their claims (specifically identifying which plaintiffs intend to amend their complaints). By Tuesday, January 29, 2019, those Pre-Sale Non-Ignition Switch Plaintiffs who agree to dismiss their claims will file voluntary dismissals, and counsel for Pre-Sale Non-Ignition Switch Plaintiffs who intend to withdraw will file motions to withdraw. 3. Statute of Limitations/Repose Cases: By Wednesday, December 5, 2018, with respect to the Pre-Sale Non-Ignition Switch Plaintiffs' operative complaints, New GM may file on the main MDL docket a notice identifying which claimants (if any) it believes are barred by the applicable statutes of limitation or repose. By Wednesday, January 9, 2019, counsel for Pre-Sale Non-Ignition Switch Plaintiffs included in the notice shall file on the main MDL docket (1) a list of the plaintiffs who agree to voluntarily dismiss their claims; (2) a list of plaintiffs as to whom counsel plans to move to withdraw; and (3) a list of the plaintiffs who intend to press their claims, along with the basis as to why those plaintiffs believe their claims are not barred. By Tuesday, January 29, 2019, those Pre-Sale Non-Ignition Switch Plaintiffs who agree to dismiss their claims will file voluntary dismissals, and counsel for Pre-Sale Non-Ignition Switch Plaintiffs who intend to withdraw will file motions to withdraw. (As further set forth in this order) SO ORDERED. (Motions due by 1/29/2019.) (Signed by Judge Jesse M. Furman on 10/4/2018) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 10/04/2018)
ORDER: In light of the process set forth in the June 18 Order and above, the Clerk of Court should not terminate the Affected Plaintiff at this time. The Court will direct the Clerk of Court to do so if or when his claims are dismissed with prejudice. In accordance with the June 18 Order, New GM shall serve a copy of this Order on the Affected Plaintiff and file proof of such service. (See June 18 Order, 5). And as set forth herein. SO ORDERED. (Signed by Judge Jesse M. Furman on 9/26/2018) Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(ama) (Entered: 09/26/2018)
NOTICE of First Notice of Non-Compliance Regarding the Affected Plaintiff re: (45 in 1:17-cv-09323-JMF, 5715 in 1:14-md-02543-JMF) Order on Motion to Withdraw as Attorney,,,,,,,. Document filed by General Motors LLC. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit A)Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(Bloomer, Andrew) (Entered: 09/25/2018)
OPINION AND ORDER [Regarding Application of the Court's Prior Rulings on Manifestation, Incidental Damages (Lost Time), and Unjust Enrichment to All Remaining Jurisdictions in Dispute (MDL Order No. 131 Issues)]: In short, for all jurisdictions in dispute, the Court finds that manifestation is not required to bring statutory consumer protection, common-law fraud, and implied warranty claims. Second, for all but six of the jurisdictions in dispute, the Court finds that Plaintiffs may recover lost-time damages where "lost time" is understood as lost earnings or its equivalent, but not where "lost time" is understood as "lost personal time." In Colorado, New York, Ohio, Utah, Virginia, however, Plaintiffs may also recover lost personal time under the states' consumer protection statutes, and in Oklahoma, Plaintiffs may recover lost personal time for all claims. Finally, in every one of the ten still-disputed jurisdictions other than Connecticut, a plaintiff may plead unjust enrichment in the alternative only where the validity or enforceability of a contract is in question, and in seven out of the ten jurisdictions (all but Connecticut, New Hampshire, and Rhode Island), a plaintiff may not maintain an unjust enrichment claim if he or she has an adequate remedy at law. Attached as Exhibit A is a chart summarizing the Court's conclusions of law for all jurisdictions. The parties are directed to meet and confer and, within thirty days of the date of this Opinion and Order, shall jointly submit a stipulation and proposed order applying the Court's conclusions to the Plaintiffs and claims in the 5ACC. SO ORDERED. (Signed by Judge Jesse M. Furman on 9/12/2018) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 09/12/2018)
ORDER NO. 154 [REGARDING THE AUGUST 21, 2018 STATUS CONFERENCE]: The Court, having held a Status Conference on August 21, 2018, and having given counsel an opportunity to be heard on the agenda items set forth in the parties' August 17, 2018 tentative agenda letter and the Court's August 20, 2018 Order (Docket Nos. 5942, 5946), issues this Order to memorialize the actions taken and rulings made at the Status Conference. I. NEXT STATUS CONFERENCE: A Status Conference will be held Friday, November 2, 2018, at 9:30 a.m. EDT in Courtroom 1105 of the Thurgood Marshall United States Courthouse, 40 Centre Street, New York, New York. III. PERSONAL INJURY SUCCESSOR LIABILITY ISSUES: Consistent with the Court's comments at the Status Conference, the Court adopts the following schedule as next steps for personal injury successor liability issues: (i) by Friday, November 9, 2018, New GM will submit its opening brief, not to exceed 35 (double-spaced) pages, on the choice-of-law, domination and control, and implied liability issues raised by plaintiffs (Docket Nos. 5083, 5631); (ii) by Tuesday, December 18, 2018, plaintiffs will submit their consolidated response, not to exceed 35 (double-spaced) pages; (iii) by Friday, January 4, 2019, counsel for individual plaintiffs may file supplemental responses with leave of Court for good cause shown; and (iv) by Friday, January 25, 2019, New GM will submit its reply, not to exceed 15 (double-spaced) pages. VII. ECONOMIC LOSS EXPERT ISSUES: Consistent with the Court's comments at the Status Conference, the parties shall meet and confer by Monday, September 3, 2018 regarding the sur-rebuttal expert reports to be served by plaintiffs consistent with the Court's August 21, 2018 Order (Docket No. 5952). If the parties cannot resolve their dispute, New GM shall file a letter motion no later than Tuesday, September 4, 2018, and Lead Counsel will file their opposition by Wednesday, September 5, 2018. Further, by Wednesday, November 14, 2018, the parties shall submit a joint letter providing their position(s) on the necessity of a Daubert hearing. (Motions due by 11/9/2018, Responses due by 12/18/2018, Replies due by 1/25/2019. Status Conference set for 11/2/2018 at 09:30 AM in Courtroom 1105, 40 Centre Street, New York, NY 10007 before Judge Jesse M. Furman.) (Signed by Judge Jesse M. Furman on 8/27/2018) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 08/27/2018)
ORDER: IT IS HEREBY ORDERED that the next status conference in this matter, previously scheduled for August 17, 2018, is ADJOURNED to August 21, 2018, at 9:30 a.m. Counsel shall promptly update the MDL website with the new time. SO ORDERED. (Status Conference set for 8/21/2018 at 09:30 AM before Judge Jesse M. Furman.) (Signed by Judge Jesse M. Furman on 7/30/2018) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) (Entered: 07/30/2018)
NOTICE OF VOLUNTARY DISMISSAL PURSUANT TO F.R.C.P. 41(a)(1)(A)(i): COMES NOW, Dalton Berry, ONLY, a Plaintiff in the Aldrich-Kaut, et al vs. General Motors, LLC, action, and pursuant to F.R.C.P. 41 (a)(1)(A)(i) of the Federal Rules of Civil Procedure, hereby gives notice that only her claims are voluntarily dismissed without prejudice against all Defendants herein. After the undersigned withdrew as counsel for Plaintiff Dalton Berry, Dalton Berry contacted the undersigned and requested that his case be dismissed without prejudice against all Defendants herein. The Clerk of Court is directed to terminate the listed plaintiff as a party in this case, and in the event all other parties have been terminated, to close the case. SO ORDERED. Dalton Berry terminated. (Signed by Judge Jesse M. Furman on 7/3/2018) Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(ne) (Entered: 07/03/2018)
ORDER NO. 153 [Regarding Next Steps for Non-Ignition Switch Plaintiffs Subject to Order No. 140 Motions or Notices]: The Court hereby adopts and orders the following procedures. Identification of "Non-Ignition Switch Plaintiffs": 1. By Friday, July 20, 2018, New GM and Lead Counsel shall file on the main MDL docket a joint list of "Non-Ignition Switch Plaintiffs," which may include (i) the Plaintiffs who filed amended complaints pursuant to Order No. 146 and whose complaints no longer allege any ignition-switch or key-rotation claims; and (ii) additional Post-Sale order personal injury claimants whose complaints (as currently pled, including through amendment if necessary) do not allege any ignition-switch or key-rotation claims. These plaintiffs are referred to herein as the 'Non-Ignition Switch Plaintiffs." Motion and Notice Practice: 2. "No Plausibly Pled Defect/Causation" Cases: By Monday, August 20, 2018, with respect to the Non-Ignition Switch Plaintiffs operative complaints, New GM may file on the main MDL docket motions to dismiss the claims of those Non-Ignition Switch Plaintiffs (if any) that New GM believes fail to state a claim under Fed. R. Civ. Pro. 12(b)(6). (As further set forth in this order) (Motions due by 8/20/2018.) (Signed by Judge Jesse M. Furman on 7/2/2018) As per Chambers, Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) Modified on 8/17/2018 (ne). (Entered: 07/09/2018)
ORDER NO. 152 [Regarding Next Steps for Certain Plaintiffs Subject to Order No. 148 Notices or Motions]: By Friday, August 10, 2018, New GM may file a consolidated summary judgment motion against any of the plaintiffs in Exhibit A whose claims New GM continues to believe are subject to summary judgment because there is no genuine issue of triable fact on air bag deployment. By Friday, September 7, 2018, Lead Counsel will file a consolidated summary judgment opposition brief on behalf of the plaintiffs subject to New GMs motion for summary judgment. Individual counsel for any plaintiff in Exhibit A may file on the main MDL docket a supplemental opposition with leave of Court (for good cause shown) by Friday, September 14, 2018. By Friday, September 28, 2018, New GM may file a consolidated reply. By Monday, July 2, 2018, the plaintiffs in Exhibit B shall show cause on the main MDL docket as to why their ignition switch and/or key rotation defect claims should not be dismissed. Attached as Exhibit C is a list of the eight plaintiffs who have indicated that they intend to amend their complaints. By Monday, July 23, 2018, each of the plaintiffs in Exhibit C shall (1) for plaintiffs whose claims are not pending in a consolidated or multiple plaintiff complaint, file an amended complaint; or (2) for plaintiffs whose claims are pending in a consolidated or multiple-plaintiff complaint, file in this District, in the form of a new lawsuit, an amended and severed complaint and shall pay the filing fee associated with filing a complaint pursuant to 28 U.S.C. § 1914(a). Within two weeks of the first date upon which any plaintiff in Exhibit B or Exhibit C is dismissed with prejudice, Lead Counsel and counsel for New GM shall meet and confer and submit joint or competing letters to the Court proposing the next steps for plaintiffs who filed amended and severed complaints. (Amended Pleadings due by 7/23/2018, Motions due by 8/10/2018, Responses due by 9/7/2018, Replies due by 9/28/2018.) (Signed by Judge Jesse M. Furman on 6/22/2018) As per Chambers, Filed In Associated Cases: 1:14-md-02543-JMF et al.(ne) Modified on 8/17/2018 (ne). (Entered: 07/09/2018)
NOTICE of Filing Current Service Address for Dalton Berry re: (5715 in 1:14-md-02543-JMF) Order on Motion to Withdraw as Attorney,,,,,,,. Document filed by Dalton Berry. Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(Toups, Mitchell) (Entered: 06/19/2018)
CERTIFICATE of Counsel by Mitchell A. Toups on behalf of Dalton Berry. Re: (5715 in 1:14-md-02543-JMF) Order on Motion to Withdraw as Attorney,,,,,,,. Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(Toups, Mitchell) (Entered: 06/19/2018)
ORDER [Regarding Withdrawal of Representation by the Firms as to the Affected Plaintiff] granting (5608) Motion to Withdraw as Attorney, in case 1:14-md-02543-JMF; granting (36) Motion to Withdraw as Attorney, in case 1:17-cv-09323-JMF. Upon consideration of the Firms' motions and New GM's proposed order, and for good cause shown, it is hereby ORDERED that: 1. The Firms' Motion is hereby GRANTED, substantially for the reasons set forth in its memorandum of law and supporting declaration. (See Docket Nos. 5608 and 5609). As a condition of withdrawal, the Firms shall, no later than June 22, 2018, serve upon the Affected Plaintiff (1) a copy of the "Notice to Certain Plaintiffs in General Motors Ignition Switch Litigation" attached hereto as Exhibit B; (2) a copy of this Order; and (3) a copy of this Court's Individual Rules and Practices for Pro Se Cases, which is attached to this Order as Exhibit C. The Order and the Court's Individual Rules should be attached to the "Notice to Certain Plaintiffs in General Motors Ignition Switch Litigation" such that the "Notice" is the first page of the materials enclosed. The Firms shall file proof of such service no later than June 29, 2018...The Affected Plaintiff is hereby ordered to file, in the form of a new lawsuit, an amended and severed complaint in the United States District Court for the Southern District of New York within ninety (90) days that is, September 17, 2018 and to pay any filing fee associated with filing a complaint pursuant to 28 U.S.C. § 1914(a)...The Clerk of Court is directed to terminate 14-MD-2543, Docket No. 5608 and 17-CV-9323, Docket No. 36. (Attorney David Scalia, James R. Dugan, II, Lanson Bordelon and Mitchell A. Toups terminated.) (Signed by Judge Jesse M. Furman on 6/18/2018) Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF. (ras) (Entered: 06/18/2018)
RESPONSE to Motion re: (36 in 1:17-cv-09323-JMF, 5608 in 1:14-md-02543-JMF) MOTION for Weller, Green, Toups & Terrell, LLP; Law Offices of Gregory K. Evans, PLLC; and The Dugan Law Firm, APLC, to Withdraw as Attorney for Dalton Berry. . Document filed by General Motors LLC. (Attachments: # 1 Exhibit 1, # 2 Exhibit A, # 3 Exhibit B, # 4 Exhibit C)Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(Bloom, Wendy) (Entered: 06/15/2018)
ORDER NO. 151. [Regarding Wave Two Discovery Procedures]. Consistent with the Court's comments at the May 31, 2018 Status Conference, and for good cause shown, the Court adopts the following schedule and procedures for Wave Two Discovery of the Post-Sale Production Part and Service Part personal injury and wrongful death cases, and as further specified and set forth in this Order No. 151. By Thursday, August 30, 2018, each Wave Two plaintiff shall refile their complaint or an amended complaint in this Court and pay any filing fee associated with filing a complaint pursuant to 28 U.S.C. § 1914(a) or be dismissed without prejudice. By Thursday, September 27, 2018, any such dismissal without prejudice will automatically convert to a dismissal with prejudice unless any such dismissed Wave Two plaintiff refiles their amended complaint and pays the required filing fee in accordance with this order, and as further set forth in this Order. Targeted, case-specific fact discovery of Wave Two plaintiffs shall commence on Wednesday, August 1, 2018, and shall conclude by Friday, December 21, 2018. Wave Two plaintiffs shall present their expert witnesses for deposition on or before Thursday, February 28, 2019, and as further specified and set forth in this Order No. 151. By Thursday, March 7, 2019, New GM and Lead Counsel shall meet and confer regarding proposed next steps for Wave Two cases and remaining Production Part and Service Part plaintiffs, and submit joint or competing letter briefs (not to exceed ten single-spaced pages) setting forth their positions. SO ORDERED. (Amended Pleadings due by 8/30/2018. Deposition due by 2/28/2019. Fact Discovery due by 12/21/2018.) (Signed by Judge Jesse M. Furman on 6/6/2018) Filed In Associated Cases: 1:14-md-02543-JMF et al., as per Chambers. (rjm). (Entered: 06/07/2018)
ORDER NO. 150 [Regarding the May 31, 2018 Status Conference]: A Status Conference will be held Friday, August 17, 2018, at 9:30 a.m. EDT in Courtroom 1105 of the Thurgood Marshall United States Courthouse, 40 Centre Street, New York, New York. (The Court notes that that date is different from the date discussed at the status conference, as one of Co-Lead Counsel is unavailable on the date previously selected and the Court has been advised that all counsel are available on August 17, 2018. Counsel shall promptly update the MDL website with the new date.) Consistent with the Court's comments as the Status Conference, by Thursday, June 14, 2018, the parties shall submit a joint letter or competing letters (not to exceed five single-spaced pages each) regarding the implications for the MDL of the Court's May 29, 2018 Opinion and Order regarding certain bankruptcy appeals. (Docket No. 5618). Consistent with the Court's comments at the Status Conference, the parties should meet and confer on which of the remaining 35 jurisdictions would apply the law of Delaware or New York and report back and propose next steps on the following schedule: by Friday, July 13, 2018, New GM will provide economic loss and personal injury plaintiffs with a list of: jurisdictions among the 35 not previously addressed by the Court with choice-of-law rules that would select Delaware or New York law. By Friday, July 27, 2018, plaintiffs will provide to New GM their position on GM's list and legal conclusions. By Friday, August 3, 2018, the parties will meet and confer. By Friday, August 10, 2018, if any states remain in dispute, plaintiffs and New GM will report back to the Court and propose next steps, and as further set forth herein. (Signed by Judge Jesse M. Furman on 6/6/2018) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 06/06/2018)
MEMO ENDORSEMENT granting (5639 in case 14-md-2543) Motion to Withdraw as Attorney. ENDORSEMENT: The Clerk of Court is directed to terminate Lanson L. Bordelon as an attorney in 14-MD-2543, 17-CV-6338, 17-CV-6486, 17-CV-7441, 17-CV-8068, and 17-CV-9323. The Clerk of Court is directed to terminate 14-MD-2543, Docket No. 5639. (Attorney Lanson Bordelon terminated.) (Signed by Judge Jesse M. Furman on 6/5/2018) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) Modified on 6/5/2018 (ras). (Entered: 06/05/2018)
MEMO ENDORSEMENT on re: (163 in 1:15-cv-02638-JMF, 88 in 1:16-cv-06833-JMF, 122 in 1:15-cv-07841-JMF, 5632 in 1:14-md-02543-JMF, 29 in 1:17-cv-09522-JMF, 271 in 1:14-cv-08385-JMF) NEW GM'S NOTICE OF NON-COMPLIANCE AS TO SEVEN CLAIMANTS WHO HAVE NOT COMPLIED WITH ORDER NO. 148 filed by General Motors LLC. ENDORSEMENT: New GM's application for dismissal without prejudice is denied without prejudice. The Court will instead follow the same procedure it established for Order No. 140. (See MDL Docket Nos. 5107 & 5201). To that end, counsel for the represented claimants in the above list shall comply with their obligations under Order No. 148 (Docket No. 5366) by June 11, 2018, or face sanctions, up to and including dismissal of the relevant claimant's claims. Mindful that the procedures set forth in Section I of Order No. 148 are directed at counsel, any renewed application with respect to the two pro se claimants listed above (Lisa Marino and John Patton) shall be accompanied by a proposed order, geared to pro se litigants, setting forth in plain language what the claimants' options are in responding to New GM's notices and the consequences of failing to respond. The proposed order shall also include information concerning the submission of materials by pro se litigants and information concerning the Pro Se Clinic (akin to the orders the Court has entered previously). Finally, the proposed order shall give pro se claimants at least three weeks to respond to New GM's notices under Section I of Order No. 148. (Signed by Judge Jesse M. Furman on 6/4/2018) Filed In Associated Cases: 1:14-md-02543-JMF et al, as per Chambers.(mro) Modified on 6/6/2018 (mro). (Entered: 06/04/2018)
NOTICE of Filing Current Service Address for Trina Watson and Dalton Berry. Document filed by Dalton Berry, Trina Watson. Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(Toups, Mitchell) (Entered: 05/25/2018)
CERTIFICATE of Counsel by Mitchell A. Toups on behalf of Dalton Berry. Re: (5285 in 1:14-md-02543-JMF) Order,, (5609 in 1:14-md-02543-JMF) Memorandum of Law in Support of Motion, (5608 in 1:14-md-02543-JMF) MOTION for Weller, Green, Toups & Terrell, LLP; Law Offices of Gregory K. Evans, PLLC; and The Dugan Law Firm, APLC, to Withdraw as Attorney for Dalton Berry.. Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(Toups, Mitchell) (Entered: 05/25/2018)
MEMORANDUM OF LAW in Support re: (5608 in 1:14-md-02543-JMF, 36 in 1:17-cv-09323-JMF) MOTION for Weller, Green, Toups & Terrell, LLP; Law Offices of Gregory K. Evans, PLLC; and The Dugan Law Firm, APLC, to Withdraw as Attorney for Dalton Berry. . Document filed by Dalton Berry. (Attachments: # 1 Affidavit Declaration of Mitchell A. Toups)Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(Toups, Mitchell) (Entered: 05/25/2018)
MOTION for Weller, Green, Toups & Terrell, LLP; Law Offices of Gregory K. Evans, PLLC; and The Dugan Law Firm, APLC, to Withdraw as Attorney for Dalton Berry. Document filed by Dalton Berry.Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(Toups, Mitchell) (Entered: 05/25/2018)
NOTICE OF VOLUNTARY DISMISSAL PURSUANT TO F.R.C.P. 41(a)(1)(A)(i): COMES NOW, Candis Kester, ONLY, a Plaintiff in the Aldrich-Kaut, et al vs. General Motors, LLC, action, and pursuant to F.R.C.P. 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, hereby gives notice that only her claims are voluntarily dismissed without prejudice against all Defendants herein. The Clerk of Court is directed to terminate the listed plaintiff as a party in the case, and in the event all other parties have been terminated, to close the case. (Candis Kester terminated.) (Signed by Judge Jesse M. Furman on 5/15/2018) Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF. (ras) (Entered: 05/16/2018)
MEMORANDUM OPINION AND ORDER [Regarding New GM's Motion for Partial Reconsideration of the Court's December 19, 2017 Order and Opinion on Successor Liability] re: (4936 in 1:14-md-02543-JMF) MOTION for Reconsideration re; (4888) Memorandum & Opinion filed by General Motors LLC. The Court concludes that Plaintiffs cannot demonstrate continuity of ownership within the meaning of New York law, and thus cannot advance successor liability claims in any state where New York law applies. It follows that New GM's motion for partial reconsideration must be and is GRANTED and that the successor liability claims of Plaintiffs from Texas and Virginia must be and are DISMISSED. See Dec. 19, 2017 Op., 2017 WL 6509256, at *7 (holding that Texas and Virginia apply New York Law); Aug. 3, 2017 Op., 2017 WL 3382071, at *19 (same). The Clerk of Court is directed to terminate Docket No. 4936. SO ORDERED. (Signed by Judge Jesse M. Furman on 4/25/2018)**Pursuant to instructions from Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al.(anc) (Entered: 04/25/2018)
ORDER NO. 148 [AMENDED] [Regarding Next Steps For Pre-Sale Personal Injury Claims]: It is hereby ORDERED that: By Friday, April 13, 2018, General Motors LLC ("New GM") will file on the main MDL docket a list of pre-Sale plaintiffs that it has currently identified as ones it believes should be dismissed in light of the Court's December 28, 2017 Opinion and Order. See In Re General Motors LLC Ignition Switch Litig., 2017 WL 6729295, at *1 (S.D.N.Y., Dec. 28, 2017)...By Friday, April 13, 2018, New GM will file its motion to dismiss claims that New GM believes should be dismissed for failure to state a claim...If New GM files a motion to dismiss with prejudice, any opposition shall be filed two weeks after the motion's filing. New GM's reply, if any, shall be filed one week thereafter. Counsel is advised to file all documents related to motions to dismiss pursuant to Order Nos. 25 and 45 in 14-MD-2543 and to "spread" the filings to any relevant individual member case or cases, and as further set forth herein. (Signed by Judge Jesse M. Furman on 4/10/2018 nunc pro tunc) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 04/12/2018)
ORDER NO. 148 [Regarding Next Steps For Pre-Sale Personal Injury Claims]: By Friday, April 13, 2018, New GM will file its motion to dismiss claims that New GM believes should be dismissed for failure to state a claim. By Monday, May 21, 2018, those plaintiffs who agree to dismiss will file voluntary dismissals, and counsel for plaintiffs who intend to withdraw will file motions to withdraw....Counsel is advised to file all documents related to motions to dismiss pursuant to Order Nos. 25 and 45 in 14-MD-2543 and to "spread" the filings to any relevant individual member case or cases, and as further set forth herein. (Signed by Judge Jesse M. Furman on 4/10/2018) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 04/10/2018)
MEMORANDUM OPINION AND ORDER: re: (4679 in 1:14-md-02543-JMF) MOTION for Summary Judgment Against Plaintiffs' Claims for Benefit-of-the-Bargain Damages filed by General Motors LLC. Accordingly, New GM's motion for summary judgment as to Plaintiffs' claims for benefit-of-the-bargain damages is DENIED without prejudice. Counsel should confer on whether and how the motion should be renewed and be prepared to address that question at a future status conference. The Clerk of Court is directed to terminate Docket No. 4679. And as set forth herein. SO ORDERED. (Signed by Judge Jesse M. Furman on 4/03/2018) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ama) Modified on 4/3/2018 (ama). (Entered: 04/03/2018)
ORDER NO. 147 [Regarding the March 22, 2018 Status Conference]: A Status Conference will be held Thursday, May 31, 2018, at 9:30 a.m. EDT in Courtroom 1105 of the Thurgood Marshall United States Courthouse, 40 Centre Street, New York, New York....Consistent with the Court's comments at the Status Conference, the parties should continue to keep the Court apprised of developments regarding settlement, and as further set forth herein. (Signed by Judge Jesse M. Furman on 3/29/2018) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) Modified on 3/29/2018 (ras). (Entered: 03/29/2018)
ORDER NO. 146 [Regarding Next Steps for Certain Plaintiffs Subject to Order No. 140 Notices]: By Monday, April 30, 2018, each of the plaintiffs in Exhibit A shall (1) for plaintiffs whose claims are not pending in a consolidated or multiple-plaintiff complaint, file an amended complaint; or (2) for plaintiffs whose claims are pending in a consolidated or multiple-plaintiff complaint, file in this District, in the form of a new lawsuit, an amended and severed complaint and shall pay the filing fee associated with filing a complaint pursuant to 28 U.S.C. § 1914(a). Any such dismissal without prejudice will convert to a dismissal with prejudice upon a second notice of non-compliance filed by New GM without further notice or hearing unless any such dismissed plaintiff in Exhibit A refiles his or her amended complaint and pays the required filing fee by Wednesday, May 30, 2018. By Friday, May 25, 2018, Lead Counsel will file a consolidated summary judgment opposition brief on behalf of the plaintiffs subject to New GM's motion for summary judgment. Individual counsel for any plaintiff in Exhibit B may file a supplemental opposition with leave of Court (for good cause shown) by Friday, June 1, 2018. By Friday, June 15, 2018, New GM will file a consolidated reply...Within two weeks of the first date upon which any plaintiff subject to Paragraph 1 or 3 of this Order (relating to the filing of amended and severed complaints in certain cases) is dismissed with prejudice, Lead Counsel and counsel for New GM shall meet and confer and submit joint or competing letters to the Court proposing the next steps for plaintiffs who filed amended and severed complaints pursuant to this Order, including whether such cases should remain in the MDL. (Signed by Judge Jesse M. Furman on 3/29/2018) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 03/29/2018)
ORDER NO. 144 [Regarding the Filing of Amended and Severed Complaints]: At the Court's direction, certain plaintiffs ("Amending Plaintiffs") who had previously been named in omnibus or consolidated complaints or whose attorneys withdrew as counsel have been required, or will be required, to file amended and severed complaints as new cases in this Court. (See e.g., MDL Docket No. 5074 ("Order No. 141"), paragraph 8; MDL Docket No. 4840 ("Order No. 137"), paragraph 3; MDL Docket No. 5108 ("Order No. 142"), paragraph 2). Per the Court's Orders, each Amending Plaintiff is required to file with his or her new complaint a Related Case Statement, available at www.nysd.uscourts.gov/forms.php, identifying the new lawsuit as related to these proceedings (In General Motors Ignition Switch Litigation, 14-MD-2543 (JMF)). To facilitate the assignment of these new cases to the undersigned for inclusion in the MDL and the orderly termination of Amending Plaintiffs from their initial dockets (as of the date of the newly filed amended and severed complaint), each Amending Plaintiff shall (1) prominently note in the Related Case Statement that he or she is an existing plaintiff in an existing case, citing the case name and docket number of that case; (2) reference in the Related Case Statement the MDL Order pursuant to which he or she is filing an amended and severed complaint; and (3) attach as an exhibit to the Related Case Statement a copy of the original complaint in which the Amending Plaintiff is already associated. If the Court grants a motion to withdraw as counsel and a plaintiff will be proceeding pro se and be required to file an amended and severed complaint, withdrawing counsel shall promptly serve a copy of this Order on those plaintiffs and file proof of such service. (Signed by Judge Jesse M. Furman on 3/27/2018) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 03/27/2018)
ORDER NO. 143 [Regarding Procedures for Responses to Pending Motions to Withdraw Filed in Response to Order No. 140 and Procedures for Responses to Any Such Future Motions to Withdraw]: Any opposition to the Firms' Motions - by the Affected Plaintiffs themselves, New GM, or otherwise - shall be filed no later than twenty-one (21) days from the date of this Order (that is, by Friday, April 13, 2018). The Firms reply, if any, shall be filed as a consolidated reply no later than seven (7) days thereafter (that is, by Friday, April 20, 2018), and as further set forth herein. (Signed by Judge Jesse M. Furman on 3/23/2018) As Per Chamber,s Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 03/23/2018)
CERTIFICATE OF SERVICE of Order No. 69 served on Plainitiffs' Counsel in Actions Listed on Exhibit 2 on 3/19/2018. Document filed by General Motors LLC. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2)Filed In Associated Cases: 1:14-md-02543-JMF et al.(Bloomer, Andrew) (Entered: 03/19/2018)
ORDER terminating (242) Motion to Withdraw as Attorney, in case 1:14-cv-02458-JMF; terminating (240) Motion to Withdraw as Attorney, in case 1:14-cv-02713-JMF; terminating (242) Motion to Withdraw as Attorney, in case 1:14-cv-02714-JMF; terminating (238) Motion to Withdraw as Attorney, in case 1:14-cv-03326-JMF; terminating (235) Motion to Withdraw as Attorney, in case 1:14-cv-03298-JMF; terminating (5210) Motion to Withdraw as Attorney. ; terminating (5212) Motion to Seal Document in case 1:14-md-02543-JMF; terminating (269) Motion to Withdraw as Attorney, in case 1:14-cv-04226-JMF; terminating (253) Motion to Withdraw as Attorney, in case 1:14-cv-04265-JMF; terminating (293) Motion to Withdraw as Attorney, in case 1:14-cv-04267-JMF; terminating (278) Motion to Withdraw as Attorney, in case 1:14-cv-04268-JMF; terminating (252) Motion to Withdraw as Attorney, in case 1:14-cv-04270-JMF; terminating (280) Motion to Withdraw as Attorney, in case 1:14-cv-04272-JMF; terminating (251) Motion to Withdraw as Attorney, in case 1:14-cv-04273-JMF; terminating (245) Motion to Withdraw as Attorney, in case 1:14-cv-04338-JMF; terminating (284) Motion to Withdraw as Attorney, in case 1:14-cv-04339-JMF; terminating (238) Motion to Withdraw as Attorney, in case 1:14-cv-04340-JMF; terminating (309) Motion to Withdraw as Attorney, in case 1:14-cv-04342-JMF; terminating (252) Motion to Withdraw as Attorney, in case 1:14-cv-04345-JMF; terminating (258) Motion to Withdraw as Attorney, in case 1:14-cv-04346-JMF; terminating (245) Motion to Withdraw as Attorney, in case 1:14-cv-04348-JMF; terminating (245) Motion to Withdraw as Attorney, in case 1:14-cv-04350-JMF; terminating (249) Motion to Withdraw as Attorney, in case 1:14-cv-04630-JMF; terminating (243) Motion to Withdraw as Attorney, in case 1:14-cv-04632-JMF; terminating (238) Motion to Withdraw as Attorney, in case 1:14-cv-04637-JMF; terminating (240) Motion to Withdraw as Attorney, in case 1:14-cv-04641-JMF; terminating (246) Motion to Withdraw as Attorney, in case 1:14-cv-04650-JMF; terminating (236) Motion to Withdraw as Attorney, in case 1:14-cv-04661-JMF; terminating (241) Motion to Withdraw as Attorney, in case 1:14-cv-04662-JMF; terminating (238) Motion to Withdraw as Attorney, in case 1:14-cv-04667-JMF; terminating (239) Motion to Withdraw as Attorney, in case 1:14-cv-04672-JMF; terminating (245) Motion to Withdraw as Attorney, in case 1:14-cv-04676-JMF; terminating (238) Motion to Withdraw as Attorney, in case 1:14-cv-04684-JMF; terminating (233) Motion to Withdraw as Attorney, in case 1:14-cv-04686-JMF; terminating (246) Motion to Withdraw as Attorney, in case 1:14-cv-04690-JMF; terminating (256) Motion to Withdraw as Attorney, in case 1:14-cv-04691-JMF; terminating (255) Motion to Withdraw as Attorney, in case 1:14-cv-04692-JMF; terminating (240) Motion to Withdraw as Attorney, in case 1:14-cv-04685-JMF; terminating (260) Motion to Withdraw as Attorney, in case 1:14-cv-04699-JMF; terminating (257) Motion to Withdraw as Attorney, in case 1:14-cv-04701-JMF; terminating (246) Motion to Withdraw as Attorney, in case 1:14-cv-04702-JMF; terminating (244) Motion to Withdraw as Attorney, in case 1:14-cv-04704-JMF; terminating (250) Motion to Withdraw as Attorney, in case 1:14-cv-04707-JMF; terminating (236) Motion to Withdraw as Attorney, in case 1:14-cv-04714-JMF; terminating (253) Motion to Withdraw as Attorney, in case 1:14-cv-04715-JMF; terminating (250) Motion to Withdraw as Attorney, in case 1:14-cv-04717-JMF; terminating (241) Motion to Withdraw as Attorney, in case 1:14-cv-04720-JMF; terminating (263) Motion to Withdraw as Attorney, in case 1:14-cv-04727-JMF; terminating (239) Motion to Withdraw as Attorney, in case 1:14-cv-04731-JMF; terminating (244) Motion to Withdraw as Attorney, in case 1:14-cv-04732-JMF; terminating (244) Motion to Withdraw as Attorney, in case 1:14-cv-04738-JMF; terminating (245) Motion to Withdraw as Attorney, in case 1:14-cv-04741-JMF; terminating (288) Motion to Withdraw as Attorney, in case 1:14-cv-04751-JMF; terminating (247) Motion to Withdraw as Attorney, in case 1:14-cv-04752-JMF; terminating (245) Motion to Withdraw as Attorney, in case 1:14-cv-04754-JMF; terminating (247) Motion to Withdraw as Attorney, in case 1:14-cv-04755-JMF; terminating (268) Motion to Withdraw as Attorney, in case 1:14-cv-04756-JMF; terminating (239) Motion to Withdraw as Attorney, in case 1:14-cv-04758-JMF; terminating (231) Motion to Withdraw as Attorney, in case 1:14-cv-04759-JMF; terminating (231) Motion to Withdraw as Attorney, in case 1:14-cv-04760-JMF; terminating (237) Motion to Withdraw as Attorney, in case 1:14-cv-04764-JMF; terminating (239) Motion to Withdraw as Attorney, in case 1:14-cv-04768-JMF; terminating (242) Motion to Withdraw as Attorney, in case 1:14-cv-04771-JMF; terminating (259) Motion to Withdraw as Attorney, in case 1:14-cv-04775-JMF; terminating (241) Motion to Withdraw as Attorney, in case 1:14-cv-04778-JMF; terminating (232) Motion to Withdraw as Attorney, in case 1:14-cv-04781-JMF; terminating (236) Motion to Withdraw as Attorney, in case 1:14-cv-04784-JMF; terminating (240) Motion to Withdraw as Attorney, in case 1:14-cv-04798-JMF; terminating (242) Motion to Withdraw as Attorney, in case 1:14-cv-04799-JMF; terminating (231) Motion to Withdraw as Attorney, in case 1:14-cv-04801-JMF; terminating (239) Motion to Withdraw as Attorney, in case 1:14-cv-04802-JMF; terminating (250) Motion to Withdraw as Attorney, in case 1:14-cv-04804-JMF; terminating (253) Motion to Withdraw as Attorney, in case 1:14-cv-04808-JMF; terminating (238) Motion to Withdraw as Attorney, in case 1:14-cv-04810-JMF; terminating (247) Motion to Withdraw as Attorney, in case 1:14-cv-04811-JMF; terminating (232) Motion to Withdraw as Attorney, in case 1:14-cv-04857-JMF; terminating (233) Motion to Withdraw as Attorney, in case 1:14-cv-04858-JMF; terminating (240) Motion to Withdraw as Attorney, in case 1:14-cv-04859-JMF; terminating (218) Motion to Withdraw as Attorney, in case 1:14-cv-05035-JMF; terminating (232) Motion to Withdraw as Attorney, in case 1:14-cv-05137-JMF; terminating (231) Motion to Withdraw as Attorney, in case 1:14-cv-05323-JMF; terminating (233) Motion to Withdraw as Attorney, in case 1:14-cv-05325-JMF; terminating (250) Motion to Withdraw as Attorney, in case 1:14-cv-05326-JMF; terminating (271) Motion to Withdraw as Attorney, in case 1:14-cv-05331-JMF; terminating (227) Motion to Withdraw as Attorney, in case 1:14-cv-05332-JMF; terminating (409) Motion to Withdraw as Attorney, in case 1:14-cv-05336-JMF; terminating (220) Motion to Withdraw as Attorney, in case 1:14-cv-05338-JMF; terminating (236) Motion to Withdraw as Attorney, in case 1:14-cv-05340-JMF; terminating (227) Motion to Withdraw as Attorney, in case 1:14-cv-05345-JMF; terminating (220) Motion to Withdraw as Attorney, in case 1:14-cv-05347-JMF; terminating (242) Motion to Withdraw as Attorney, in case 1:14-cv-05349-JMF; terminating (231) Motion to Withdraw as Attorney, in case 1:14-cv-05350-JMF; terminating (237) Motion to Withdraw as Attorney, in case 1:14-cv-05351-JMF; terminating (230) Motion to Withdraw as Attorney, in case 1:14-cv-05356-JMF; terminating (226) Motion to Withdraw as Attorney, in case 1:14-cv-05358-JMF; terminating (223) Motion to Withdraw as Attorney, in case 1:14-cv-05328-JMF; terminating (233) Motion to Withdraw as Attorney, in case 1:14-cv-05458-JMF; terminating (261) Motion to Withdraw as Attorney, in case 1:14-cv-05461-JMF; terminating (232) Motion to Withdraw as Attorney, in case 1:14-cv-05501-JMF; terminating (231) Motion to Withdraw as Attorney, in case 1:14-cv-05503-JMF; terminating (221) Motion to Withdraw as Attorney, in case 1:14-cv-05506-JMF; terminating (224) Motion to Withdraw as Attorney, in case 1:14-cv-05746-JMF; terminating (225) Motion to Withdraw as Attorney, in case 1:14-cv-05750-JMF; terminating (222) Motion to Withdraw as Attorney, in case 1:14-cv-05752-JMF; terminating (224) Motion to Withdraw as Attorney, in case 1:14-cv-05754-JMF; terminating (221) Motion to Withdraw as Attorney, in case 1:14-cv-05715-JMF; terminating (227) Motion to Withdraw as Attorney, in case 1:14-cv-05880-JMF; terminating (240) Motion to Withdraw as Attorney, in case 1:14-cv-05881-JMF; terminating (225) Motion to Withdraw as Attorney, in case 1:14-cv-05850-JMF; terminating (572) Motion to Withdraw as Attorney, in case 1:14-cv-05810-JMF; terminating (248) Motion to Withdraw as Attorney, in case 1:14-cv-06018-JMF; terminating (212) Motion to Withdraw as Attorney, in case 1:14-cv-06830-JMF; terminating (244) Motion to Withdraw as Attorney, in case 1:14-cv-06924-JMF; terminating (219) Motion to Withdraw as Attorney, in case 1:14-cv-07224-JMF; terminating (204) Motion to Withdraw as Attorney, in case 1:14-cv-07242-JMF; terminating (212) Motion to Withdraw as Attorney, in case 1:14-cv-07474-JMF; terminating (211) Motion to Withdraw as Attorney, in case 1:14-cv-07475-JMF; terminating (219) Motion to Withdraw as Attorney, in case 1:14-cv-07477-JMF; terminating (219) Motion to Withdraw as Attorney, in case 1:14-cv-07623-JMF; terminating (228) Motion to Withdraw as Attorney, in case 1:14-cv-07631-JMF; terminating (198) Motion to Withdraw as Attorney, in case 1:14-cv-07977-JMF; terminating (198) Motion to Withdraw as Attorney, in case 1:14-cv-07979-JMF; terminating (209) Motion to Withdraw as Attorney, in case 1:14-cv-08130-JMF; terminating (216) Motion to Withdraw as Attorney, in case 1:14-cv-08133-JMF; terminating (207) Motion to Withdraw as Attorney, in case 1:14-cv-08134-JMF; terminating (778) Motion to Withdraw as Attorney, in case 1:14-cv-08176-JMF; terminating (231) Motion to Withdraw as Attorney, in case 1:14-cv-08382-JMF; terminating (259) Motion to Withdraw as Attorney, in case 1:14-cv-08385-JMF; terminating (215) Motion to Withdraw as Attorney, in case 1:14-cv-08386-JMF; terminating (549) Motion to Withdraw as Attorney, in case 1:14-cv-08317-JMF; terminating (193) Motion to Withdraw as Attorney, in case 1:14-cv-08248-JMF; terminating (242) Motion to Withdraw as Attorney, in case 1:14-cv-08540-JMF; terminating (187) Motion to Withdraw as Attorney, in case 1:14-cv-08883-JMF; terminating (188) Motion to Withdraw as Attorney, in case 1:14-cv-08885-JMF; terminating (206) Motion to Withdraw as Attorney, in case 1:14-cv-08886-JMF; terminating (214) Motion to Withdraw as Attorney, in case 1:14-cv-08891-JMF; terminating (213) Motion to Withdraw as Attorney, in case 1:14-cv-08892-JMF; terminating (242) Motion to Withdraw as Attorney, in case 1:14-cv-09058-JMF; terminating (186) Motion to Withdraw as Attorney, in case 1:14-cv-09110-JMF; terminating (197) Motion to Withdraw as Attorney, in case 1:14-cv-09466-JMF; terminating (214) Motion to Withdraw as Attorney, in case 1:14-cv-09469-JMF; terminating (196) Motion to Withdraw as Attorney, in case 1:14-cv-09431-JMF; terminating (196) Motion to Withdraw as Attorney, in case 1:14-cv-09712-JMF; terminating (189) Motion to Withdraw as Attorney, in case 1:14-cv-09864-JMF; terminating (191) Motion to Withdraw as Attorney, in case 1:14-cv-09965-JMF; terminating (184) Motion to Withdraw as Attorney, in case 1:14-cv-10006-JMF; terminating (245) Motion to Withdraw as Attorney, in case 1:14-cv-10023-JMF; terminating (195) Motion to Withdraw as Attorney, in case 1:15-cv-00178-JMF; terminating (181) Motion to Withdraw as Attorney, in case 1:15-cv-00179-JMF; terminating (204) Motion to Withdraw as Attorney, in case 1:15-cv-00180-JMF; terminating (176) Motion to Withdraw as Attorney, in case 1:15-cv-00182-JMF; terminating (188) Motion to Withdraw as Attorney, in case 1:15-cv-00155-JMF; terminating (177) Motion to Withdraw as Attorney, in case 1:15-cv-00186-JMF; terminating (177) Motion to Withdraw as Attorney, in case 1:15-cv-00263-JMF; terminating (198) Motion to Withdraw as Attorney, in case 1:15-cv-00264-JMF; terminating (180) Motion to Withdraw as Attorney, in case 1:15-cv-00392-JMF; terminating (178) Motion to Withdraw as Attorney, in case 1:15-cv-00406-JMF; terminating (180) Motion to Withdraw as Attorney, in case 1:15-cv-00409-JMF; terminating (202) Motion to Withdraw as Attorney, in case 1:15-cv-00550-JMF; terminating (182) Motion to Withdraw as Attorney, in case 1:15-cv-00761-JMF; terminating (183) Motion to Withdraw as Attorney, in case 1:15-cv-00764-JMF; terminating (172) Motion to Withdraw as Attorney, in case 1:15-cv-00713-JMF; terminating (173) Motion to Withdraw as Attorney, in case 1:15-cv-00738-JMF; terminating (172) Motion to Withdraw as Attorney, in case 1:15-cv-00918-JMF; terminating (169) Motion to Withdraw as Attorney, in case 1:15-cv-00977-JMF; terminating (182) Motion to Withdraw as Attorney, in case 1:15-cv-01128-JMF; terminating (177) Motion to Withdraw as Attorney, in case 1:15-cv-01152-JMF; terminating (173) Motion to Withdraw as Attorney, in case 1:15-cv-01081-JMF; terminating (181) Motion to Withdraw as Attorney, in case 1:15-cv-01409-JMF; terminating (188) Motion to Withdraw as Attorney, in case 1:15-cv-01354-JMF; terminating (185) Motion to Withdraw as Attorney, in case 1:15-cv-01316-JMF; terminating (158) Motion to Withdraw as Attorney, in case 1:15-cv-01514-JMF; terminating (169) Motion to Withdraw as Attorney, in case 1:15-cv-01624-JMF; terminating (195) Motion to Withdraw as Attorney, in case 1:15-cv-01626-JMF; terminating (174) Motion to Withdraw as Attorney, in case 1:15-cv-01790-JMF; terminating (176) Motion to Withdraw as Attorney, in case 1:15-cv-01791-JMF; terminating (175) Motion to Withdraw as Attorney, in case 1:15-cv-01794-JMF; terminating (161) Motion to Withdraw as Attorney, in case 1:15-cv-01857-JMF; terminating (173) Motion to Withdraw as Attorney, in case 1:15-cv-01970-JMF; terminating (167) Motion to Withdraw as Attorney, in case 1:15-cv-01982-JMF; terminating (178) Motion to Withdraw as Attorney, in case 1:15-cv-02021-JMF; terminating (180) Motion to Withdraw as Attorney, in case 1:15-cv-02033-JMF; terminating (177) Motion to Withdraw as Attorney, in case 1:15-cv-02035-JMF; terminating (185) Motion to Withdraw as Attorney, in case 1:15-cv-02089-JMF; terminating (176) Motion to Withdraw as Attorney, in case 1:15-cv-02170-JMF; terminating (151) Motion to Withdraw as Attorney, in case 1:15-cv-02339-JMF; terminating (152) Motion to Withdraw as Attorney, in case 1:15-cv-02493-JMF; terminating (150) Motion to Withdraw as Attorney, in case 1:15-cv-02588-JMF; terminating (158) Motion to Withdraw as Attorney, in case 1:15-cv-02634-JMF; terminating (150) Motion to Withdraw as Attorney, in case 1:15-cv-02591-JMF; terminating (152) Motion to Withdraw as Attorney, in case 1:15-cv-02638-JMF; terminating (149) Motion to Withdraw as Attorney, in case 1:15-cv-02640-JMF; terminating (200) Motion to Withdraw as Attorney, in case 1:15-cv-02644-JMF; terminating (165) Motion to Withdraw as Attorney, in case 1:15-cv-02708-JMF; terminating (159) Motion to Withdraw as Attorney, in case 1:15-cv-02709-JMF; terminating (176) Motion to Withdraw as Attorney, in case 1:15-cv-02844-JMF; terminating (147) Motion to Withdraw as Attorney, in case 1:15-cv-02935-JMF; terminating (145) Motion to Withdraw as Attorney, in case 1:15-cv-03215-JMF; terminating (158) Motion to Withdraw as Attorney, in case 1:15-cv-03229-JMF; terminating (148) Motion to Withdraw as Attorney, in case 1:15-cv-03272-JMF; terminating (151) Motion to Withdraw as Attorney, in case 1:15-cv-03330-JMF; terminating (149) Motion to Withdraw as Attorney, in case 1:15-cv-03417-JMF; terminating (167) Motion to Withdraw as Attorney, in case 1:15-cv-03592-JMF; terminating (141) Motion to Withdraw as Attorney, in case 1:15-cv-03593-JMF; terminating (144) Motion to Withdraw as Attorney, in case 1:15-cv-03650-JMF; terminating (142) Motion to Withdraw as Attorney, in case 1:15-cv-03641-JMF; terminating (168) Motion to Withdraw as Attorney, in case 1:15-cv-03702-JMF; terminating (144) Motion to Withdraw as Attorney, in case 1:15-cv-03770-JMF; terminating (183) Motion to Withdraw as Attorney, in case 1:15-cv-04088-JMF; terminating (134) Motion to Withdraw as Attorney, in case 1:15-cv-04182-JMF; terminating (198) Motion to Withdraw as Attorney, in case 1:15-cv-04142-JMF; terminating (143) Motion to Withdraw as Attorney, in case 1:15-cv-04385-JMF; terminating (143) Motion to Withdraw as Attorney, in case 1:15-cv-04640-JMF; terminating (155) Motion to Withdraw as Attorney, in case 1:15-cv-04644-JMF; terminating (161) Motion to Withdraw as Attorney, in case 1:15-cv-04647-JMF; terminating (140) Motion to Withdraw as Attorney, in case 1:15-cv-04709-JMF; terminating (137) Motion to Withdraw as Attorney, in case 1:15-cv-04768-JMF; terminating (117) Motion to Withdraw as Attorney, in case 1:15-cv-04797-JMF; terminating (141) Motion to Withdraw as Attorney, in case 1:15-cv-04896-JMF; terminating (119) Motion to Withdraw as Attorney, in case 1:15-cv-04931-JMF; terminating (117) Motion to Withdraw as Attorney, in case 1:15-cv-05170-JMF; terminating (174) Motion to Withdraw as Attorney, in case 1:15-cv-05222-JMF; terminating (124) Motion to Withdraw as Attorney, in case 1:15-cv-05649-JMF; terminating (116) Motion to Withdraw as Attorney, in case 1:15-cv-05739-JMF; terminating (115) Motion to Withdraw as Attorney, in case 1:15-cv-05959-JMF; terminating (118) Motion to Withdraw as Attorney, in case 1:15-cv-06010-JMF; terminating (117) Motion to Withdraw as Attorney, in case 1:15-cv-06052-JMF; terminating (113) Motion to Withdraw as Attorney, in case 1:15-cv-06233-JMF; terminating (150) Motion to Withdraw as Attorney, in case 1:15-cv-06288-JMF; terminating (154) Motion to Withdraw as Attorney, in case 1:15-cv-06289-JMF; terminating (115) Motion to Withdraw as Attorney, in case 1:15-cv-06452-JMF; terminating (119) Motion to Withdraw as Attorney, in case 1:15-cv-06528-JMF; terminating (113) Motion to Withdraw as Attorney, in case 1:15-cv-06530-JMF; terminating (171) Motion to Withdraw as Attorney, in case 1:15-cv-06578-JMF; terminating (115) Motion to Withdraw as Attorney, in case 1:15-cv-06591-JMF; terminating (113) Motion to Withdraw as Attorney, in case 1:15-cv-06753-JMF; terminating (111) Motion to Withdraw as Attorney, in case 1:15-cv-06810-JMF; terminating (121) Motion to Withdraw as Attorney, in case 1:15-cv-06887-JMF; terminating (116) Motion to Withdraw as Attorney, in case 1:15-cv-06990-JMF; terminating (110) Motion to Withdraw as Attorney, in case 1:15-cv-07123-JMF; terminating (107) Motion to Withdraw as Attorney, in case 1:15-cv-07224-JMF; terminating (106) Motion to Withdraw as Attorney, in case 1:15-cv-07381-JMF; terminating (114) Motion to Withdraw as Attorney, in case 1:15-cv-07389-JMF; terminating (126) Motion to Withdraw as Attorney, in case 1:15-cv-07412-JMF; terminating (119) Motion to Withdraw as Attorney, in case 1:15-cv-07416-JMF; terminating (120) Motion to Withdraw as Attorney, in case 1:15-cv-07445-JMF; terminating (108) Motion to Withdraw as Attorney, in case 1:15-cv-07453-JMF; terminating (119) Motion to Withdraw as Attorney, in case 1:15-cv-07533-JMF; terminating (112) Motion to Withdraw as Attorney, in case 1:15-cv-07536-JMF; terminating (108) Motion to Withdraw as Attorney, in case 1:15-cv-07539-JMF; terminating (119) Motion to Withdraw as Attorney, in case 1:15-cv-07551-JMF; terminating (113) Motion to Withdraw as Attorney, in case 1:15-cv-07552-JMF; terminating (106) Motion to Withdraw as Attorney, in case 1:15-cv-07644-JMF; terminating (105) Motion to Withdraw as Attorney, in case 1:15-cv-07756-JMF; terminating (111) Motion to Withdraw as Attorney, in case 1:15-cv-07841-JMF; terminating (117) Motion to Withdraw as Attorney, in case 1:15-cv-07843-JMF; terminating (112) Motion to Withdraw as Attorney, in case 1:15-cv-07908-JMF; terminating (102) Motion to Withdraw as Attorney, in case 1:15-cv-07929-JMF; terminating (110) Motion to Withdraw as Attorney, in case 1:15-cv-08126-JMF; terminating (104) Motion to Withdraw as Attorney, in case 1:15-cv-08159-JMF; terminating (99) Motion to Withdraw as Attorney, in case 1:15-cv-08281-JMF; terminating (107) Motion to Withdraw as Attorney, in case 1:15-cv-08285-JMF; terminating (356) Motion to Withdraw as Attorney, in case 1:15-cv-08324-JMF; terminating (110) Motion to Withdraw as Attorney, in case 1:15-cv-08329-JMF; terminating (106) Motion to Withdraw as Attorney, in case 1:15-cv-08482-JMF; terminating (102) Motion to Withdraw as Attorney, in case 1:15-cv-08490-JMF; terminating (111) Motion to Withdraw as Attorney, in case 1:15-cv-08619-JMF; terminating (101) Motion to Withdraw as Attorney, in case 1:15-cv-08856-JMF; terminating (101) Motion to Withdraw as Attorney, in case 1:15-cv-08859-JMF; terminating (111) Motion to Withdraw as Attorney, in case 1:15-cv-08896-JMF; terminating (98) Motion to Withdraw as Attorney, in case 1:15-cv-08958-JMF; terminating (107) Motion to Withdraw as Attorney, in case 1:15-cv-08959-JMF; terminating (103) Motion to Withdraw as Attorney, in case 1:15-cv-08960-JMF; terminating (100) Motion to Withdraw as Attorney, in case 1:15-cv-09138-JMF; terminating (105) Motion to Withdraw as Attorney, in case 1:15-cv-09144-JMF; terminating (99) Motion to Withdraw as Attorney, in case 1:15-cv-09215-JMF; terminating (105) Motion to Withdraw as Attorney, in case 1:15-cv-09339-JMF; terminating (99) Motion to Withdraw as Attorney, in case 1:15-cv-09393-JMF; terminating (98) Motion to Withdraw as Attorney, in case 1:15-cv-09465-JMF; terminating (93) Motion to Withdraw as Attorney, in case 1:15-cv-09538-JMF; terminating (95) Motion to Withdraw as Attorney, in case 1:15-cv-09873-JMF; terminating (176) Motion to Withdraw as Attorney, in case 1:16-cv-00007-JMF; terminating (97) Motion to Withdraw as Attorney, in case 1:16-cv-00027-JMF; terminating (128) Motion to Withdraw as Attorney, in case 1:16-cv-00028-JMF; terminating (85) Motion to Withdraw as Attorney, in case 1:16-cv-00205-JMF; terminating (83) Motion to Withdraw as Attorney, in case 1:16-cv-00210-JMF; terminating (91) Motion to Withdraw as Attorney, in case 1:16-cv-00222-JMF; terminating (87) Motion to Withdraw as Attorney, in case 1:16-cv-00394-JMF; terminating (85) Motion to Withdraw as Attorney, in case 1:16-cv-00399-JMF; terminating (93) Motion to Withdraw as Attorney, in case 1:16-cv-00678-JMF; terminating (90) Motion to Withdraw as Attorney, in case 1:16-cv-00698-JMF; terminating (90) Motion to Withdraw as Attorney, in case 1:16-cv-00749-JMF; terminating (98) Motion to Withdraw as Attorney, in case 1:16-cv-00806-JMF; terminating (80) Motion to Withdraw as Attorney, in case 1:16-cv-00904-JMF; terminating (91) Motion to Withdraw as Attorney, in case 1:16-cv-00918-JMF; terminating (100) Motion to Withdraw as Attorney, in case 1:16-cv-00924-JMF; terminating (120) Motion to Withdraw as Attorney, in case 1:16-cv-00925-JMF; terminating (93) Motion to Withdraw as Attorney, in case 1:16-cv-01173-JMF; terminating (83) Motion to Withdraw as Attorney, in case 1:16-cv-01195-JMF; terminating (86) Motion to Withdraw as Attorney, in case 1:16-cv-01252-JMF; terminating (85) Motion to Withdraw as Attorney, in case 1:16-cv-01345-JMF; terminating (79) Motion to Withdraw as Attorney, in case 1:16-cv-01367-JMF; terminating (79) Motion to Withdraw as Attorney, in case 1:16-cv-01779-JMF; terminating (80) Motion to Withdraw as Attorney, in case 1:16-cv-01888-JMF; terminating (100) Motion to Withdraw as Attorney, in case 1:16-cv-01944-JMF; terminating (86) Motion to Withdraw as Attorney, in case 1:16-cv-01957-JMF; terminating (91) Motion to Withdraw as Attorney, in case 1:16-cv-02046-JMF; terminating (103) Motion to Withdraw as Attorney, in case 1:16-cv-02047-JMF; terminating (73) Motion to Withdraw as Attorney, in case 1:16-cv-02158-JMF; terminating (75) Motion to Withdraw as Attorney, in case 1:16-cv-02270-JMF; terminating (88) Motion to Withdraw as Attorney, in case 1:16-cv-02315-JMF; terminating (76) Motion to Withdraw as Attorney, in case 1:16-cv-02320-JMF; terminating (79) Motion to Withdraw as Attorney, in case 1:16-cv-02335-JMF; terminating (76) Motion to Withdraw as Attorney, in case 1:16-cv-02343-JMF; terminating (74) Motion to Withdraw as Attorney, in case 1:16-cv-02353-JMF; terminating (74) Motion to Withdraw as Attorney, in case 1:16-cv-02357-JMF; terminating (74) Motion to Withdraw as Attorney, in case 1:16-cv-02371-JMF; terminating (76) Motion to Withdraw as Attorney, in case 1:16-cv-02376-JMF; terminating (88) Motion to Withdraw as Attorney, in case 1:16-cv-02391-JMF; terminating (78) Motion to Withdraw as Attorney, in case 1:16-cv-02715-JMF; terminating (88) Motion to Withdraw as Attorney, in case 1:16-cv-02730-JMF; terminating (73) Motion to Withdraw as Attorney, in case 1:16-cv-02755-JMF; terminating (88) Motion to Withdraw as Attorney, in case 1:16-cv-02875-JMF; terminating (90) Motion to Withdraw as Attorney, in case 1:16-cv-02919-JMF; terminating (84) Motion to Withdraw as Attorney, in case 1:16-cv-03058-JMF; terminating (104) Motion to Withdraw as Attorney, in case 1:16-cv-03105-JMF; terminating (77) Motion to Withdraw as Attorney, in case 1:16-cv-03523-JMF; terminating (81) Motion to Withdraw as Attorney, in case 1:16-cv-03634-JMF; terminating (80) Motion to Withdraw as Attorney, in case 1:16-cv-03768-JMF; terminating (71) Motion to Withdraw as Attorney, in case 1:16-cv-03810-JMF; terminating (99) Motion to Withdraw as Attorney, in case 1:16-cv-03923-JMF; terminating (152) Motion to Withdraw as Attorney, in case 1:16-cv-04180-JMF; terminating (72) Motion to Withdraw as Attorney, in case 1:16-cv-04688-JMF; terminating (69) Motion to Withdraw as Attorney, in case 1:16-cv-05140-JMF; terminating (68) Motion to Withdraw as Attorney, in case 1:16-cv-05251-JMF; terminating (78) Motion to Withdraw as Attorney, in case 1:16-cv-05305-JMF; terminating (74) Motion to Withdraw as Attorney, in case 1:16-cv-05342-JMF; terminating (64) Motion to Withdraw as Attorney, in case 1:16-cv-05350-JMF; terminating (65) Motion to Withdraw as Attorney, in case 1:16-cv-05353-JMF; terminating (100) Motion to Withdraw as Attorney, in case 1:16-cv-05491-JMF; terminating (75) Motion to Withdraw as Attorney, in case 1:16-cv-05525-JMF; terminating (81) Motion to Withdraw as Attorney, in case 1:16-cv-05815-JMF; terminating (93) Motion to Withdraw as Attorney, in case 1:16-cv-05947-JMF; terminating (60) Motion to Withdraw as Attorney, in case 1:16-cv-06760-JMF; terminating (89) Motion to Withdraw as Attorney, in case 1:16-cv-06767-JMF; terminating (68) Motion to Withdraw as Attorney, in case 1:16-cv-06828-JMF; terminating (77) Motion to Withdraw as Attorney, in case 1:16-cv-06833-JMF; terminating (69) Motion to Withdraw as Attorney, in case 1:16-cv-06856-JMF; terminating (65) Motion to Withdraw as Attorney, in case 1:16-cv-07258-JMF; terminating (64) Motion to Withdraw as Attorney, in case 1:16-cv-07335-JMF; terminating (67) Motion to Withdraw as Attorney, in case 1:16-cv-07420-JMF; terminating (58) Motion to Withdraw as Attorney, in case 1:16-cv-07583-JMF; terminating (64) Motion to Withdraw as Attorney, in case 1:16-cv-07807-JMF; terminating (71) Motion to Withdraw as Attorney, in case 1:16-cv-07808-JMF; terminating (58) Motion to Withdraw as Attorney, in case 1:16-cv-07909-JMF; terminating (72) Motion to Withdraw as Attorney, in case 1:16-cv-08085-JMF; terminating (57) Motion to Withdraw as Attorney, in case 1:16-cv-08153-JMF; terminating (75) Motion to Withdraw as Attorney, in case 1:16-cv-08229-JMF; terminating (56) Motion to Withdraw as Attorney, in case 1:16-cv-08311-JMF; terminating (64) Motion to Withdraw as Attorney, in case 1:16-cv-08544-JMF; terminating (60) Motion to Withdraw as Attorney, in case 1:16-cv-08683-JMF; terminating (58) Motion to Withdraw as Attorney, in case 1:16-cv-08724-JMF; terminating (62) Motion to Withdraw as Attorney, in case 1:16-cv-08974-JMF; terminating (74) Motion to Withdraw as Attorney, in case 1:16-cv-09082-JMF; terminating (63) Motion to Withdraw as Attorney, in case 1:16-cv-09085-JMF; terminating (62) Motion to Withdraw as Attorney, in case 1:16-cv-09194-JMF; terminating (53) Motion to Withdraw as Attorney, in case 1:16-cv-09222-JMF; terminating (57) Motion to Withdraw as Attorney, in case 1:16-cv-09251-JMF; terminating (55) Motion to Withdraw as Attorney, in case 1:16-cv-09518-JMF; terminating (59) Motion to Withdraw as Attorney, in case 1:16-cv-09999-JMF; terminating (60) Motion to Withdraw as Attorney, in case 1:16-cv-10041-JMF; terminating (66) Motion to Withdraw as Attorney, in case 1:17-cv-00482-JMF; terminating (50) Motion to Withdraw as Attorney, in case 1:17-cv-01001-JMF; terminating (74) Motion to Withdraw as Attorney, in case 1:17-cv-01050-JMF; terminating (49) Motion to Withdraw as Attorney, in case 1:17-cv-01511-JMF; terminating (61) Motion to Withdraw as Attorney, in case 1:17-cv-01678-JMF; terminating (47) Motion to Withdraw as Attorney, in case 1:17-cv-02130-JMF; terminating (51) Motion to Withdraw as Attorney, in case 1:17-cv-02260-JMF; terminating (53) Motion to Withdraw as Attorney, in case 1:17-cv-02380-JMF; terminating (46) Motion to Withdraw as Attorney, in case 1:17-cv-02456-JMF; terminating (53) Motion to Withdraw as Attorney, in case 1:17-cv-02231-JMF; terminating (52) Motion to Withdraw as Attorney, in case 1:17-cv-02412-JMF; terminating (48) Motion to Withdraw as Attorney, in case 1:17-cv-02610-JMF; terminating (48) Motion to Withdraw as Attorney, in case 1:17-cv-02686-JMF; terminating (50) Motion to Withdraw as Attorney, in case 1:17-cv-02921-JMF; terminating (49) Motion to Withdraw as Attorney, in case 1:17-cv-03262-JMF; terminating (50) Motion to Withdraw as Attorney, in case 1:17-cv-03823-JMF; terminating (50) Motion to Withdraw as Attorney, in case 1:17-cv-03979-JMF; terminating (72) Motion to Withdraw as Attorney, in case 1:17-cv-04150-JMF; terminating (57) Motion to Withdraw as Attorney, in case 1:17-cv-04348-JMF; terminating (46) Motion to Withdraw as Attorney, in case 1:17-cv-04355-JMF; terminating (47) Motion to Withdraw as Attorney, in case 1:17-cv-04376-JMF; terminating (52) Motion to Withdraw as Attorney, in case 1:17-cv-04426-JMF; terminating (46) Motion to Withdraw as Attorney, in case 1:17-cv-04463-JMF; terminating (44) Motion to Withdraw as Attorney, in case 1:17-cv-04985-JMF; terminating (47) Motion to Withdraw as Attorney, in case 1:17-cv-05068-JMF; terminating (46) Motion to Withdraw as Attorney, in case 1:17-cv-05072-JMF; terminating (41) Motion to Withdraw as Attorney, in case 1:17-cv-05289-JMF; terminating (49) Motion to Withdraw as Attorney, in case 1:17-cv-05400-JMF; terminating (38) Motion to Withdraw as Attorney, in case 1:17-cv-05970-JMF; terminating (44) Motion to Withdraw as Attorney, in case 1:17-cv-05984-JMF; terminating (44) Motion to Withdraw as Attorney, in case 1:17-cv-05999-JMF; terminating (45) Motion to Withdraw as Attorney, in case 1:17-cv-06001-JMF; terminating (44) Motion to Withdraw as Attorney, in case 1:17-cv-06083-JMF; terminating (43) Motion to Withdraw as Attorney, in case 1:17-cv-06088-JMF; terminating (51) Motion to Withdraw as Attorney, in case 1:17-cv-06120-JMF; terminating (40) Motion to Withdraw as Attorney, in case 1:17-cv-06155-JMF; terminating (31) Motion to Withdraw as Attorney, in case 1:17-cv-06196-JMF; terminating (41) Motion to Withdraw as Attorney, in case 1:17-cv-06273-JMF; terminating (40) Motion to Withdraw as Attorney, in case 1:17-cv-06284-JMF; terminating (36) Motion to Withdraw as Attorney, in case 1:17-cv-06289-JMF; terminating (45) Motion to Withdraw as Attorney, in case 1:17-cv-06338-JMF; terminating (45) Motion to Withdraw as Attorney, in case 1:17-cv-06486-JMF; terminating (40) Motion to Withdraw as Attorney, in case 1:17-cv-06525-JMF; terminating (37) Motion to Withdraw as Attorney, in case 1:17-cv-06854-JMF; terminating (46) Motion to Withdraw as Attorney, in case 1:17-cv-06858-JMF; terminating (37) Motion to Withdraw as Attorney, in case 1:17-cv-06860-JMF; terminating (39) Motion to Withdraw as Attorney, in case 1:17-cv-07441-JMF; terminating (25) Motion to Withdraw as Attorney, in case 1:17-cv-08692-JMF; terminating (24) Motion to Withdraw as Attorney, in case 1:17-cv-08743-JMF; terminating (29) Motion to Withdraw as Attorney, in case 1:17-cv-08840-JMF; terminating (23) Motion to Withdraw as Attorney, in case 1:17-cv-08925-JMF; terminating (24) Motion to Withdraw as Attorney, in case 1:17-cv-08935-JMF; terminating (27) Motion to Withdraw as Attorney, in case 1:17-cv-08968-JMF; terminating (23) Motion to Withdraw as Attorney, in case 1:17-cv-09030-JMF; terminating (25) Motion to Withdraw as Attorney, in case 1:17-cv-09046-JMF; terminating (18) Motion to Withdraw as Attorney, in case 1:17-cv-09088-JMF; terminating (22) Motion to Withdraw as Attorney, in case 1:17-cv-09209-JMF; terminating (24) Motion to Withdraw as Attorney, in case 1:17-cv-09323-JMF; terminating (20) Motion to Withdraw as Attorney, in case 1:17-cv-09353-JMF; terminating (17) Motion to Withdraw as Attorney, in case 1:17-cv-09464-JMF; terminating (17) Motion to Withdraw as Attorney, in case 1:17-cv-09509-JMF; terminating (17) Motion to Withdraw as Attorney, in case 1:17-cv-09522-JMF; terminating (17) Motion to Withdraw as Attorney, in case 1:17-cv-09547-JMF; terminating (15) Motion to Withdraw as Attorney, in case 1:17-cv-09761-JMF; terminating (19) Motion to Withdraw as Attorney, in case 1:17-cv-09813-JMF; terminating (20) Motion to Withdraw as Attorney, in case 1:17-cv-09814-JMF; terminating (19) Motion to Withdraw as Attorney, in case 1:17-cv-09815-JMF; terminating (20) Motion to Withdraw as Attorney, in case 1:17-cv-09816-JMF; terminating (20) Motion to Withdraw as Attorney, in case 1:17-cv-09817-JMF; terminating (19) Motion to Withdraw as Attorney, in case 1:17-cv-09818-JMF; terminating (21) Motion to Withdraw as Attorney, in case 1:17-cv-09819-JMF; terminating (20) Motion to Withdraw as Attorney, in case 1:17-cv-09821-JMF; terminating (20) Motion to Withdraw as Attorney, in case 1:17-cv-09822-JMF; terminating (23) Motion to Withdraw as Attorney, in case 1:17-cv-09823-JMF; terminating (19) Motion to Withdraw as Attorney, in case 1:17-cv-09824-JMF; terminating (15) Motion to Withdraw as Attorney, in case 1:17-cv-09849-JMF; terminating (14) Motion to Withdraw as Attorney, in case 1:17-cv-09990-JMF; terminating (15) Motion to Withdraw as Attorney, in case 1:17-cv-10113-JMF; terminating (15) Motion to Withdraw as Attorney, in case 1:17-cv-10114-JMF; terminating (14) Motion to Withdraw as Attorney, in case 1:17-cv-10178-JMF; terminating (14) Motion to Withdraw as Attorney, in case 1:17-cv-10196-JMF; terminating (15) Motion to Withdraw as Attorney, in case 1:17-cv-10202-JMF; terminating (14) Motion to Withdraw as Attorney, in case 1:18-cv-00004-JMF; terminating (16) Motion to Withdraw as Attorney, in case 1:18-cv-00060-JMF; terminating (14) Motion to Withdraw as Attorney, in case 1:18-cv-00109-JMF; terminating (14) Motion to Withdraw as Attorney, in case 1:18-cv-00184-JMF; terminating (14) Motion to Withdraw as Attorney, in case 1:18-cv-00208-JMF; terminating (28) Motion to Withdraw as Attorney, in case 1:18-cv-00227-JMF; terminating (13) Motion to Withdraw as Attorney, in case 1:18-cv-00229-JMF; terminating (14) Motion to Withdraw as Attorney, in case 1:18-cv-00519-JMF; terminating (14) Motion to Withdraw as Attorney, in case 1:18-cv-00520-JMF; terminating (13) Motion to Withdraw as Attorney, in case 1:18-cv-00729-JMF; terminating (12) Motion to Withdraw as Attorney, in case 1:18-cv-00750-JMF; terminating (12) Motion to Withdraw as Attorney, in case 1:18-cv-00751-JMF; terminating (11) Motion to Withdraw as Attorney, in case 1:18-cv-00926-JMF; terminating (11) Motion to Withdraw as Attorney, in case 1:18-cv-00970-JMF; terminating (9) Motion to Withdraw as Attorney, in case 1:18-cv-01007-JMF; terminating (18) Motion to Withdraw as Attorney, in case 1:18-cv-01019-JMF; terminating (11) Motion to Withdraw as Attorney, in case 1:18-cv-01074-JMF; terminating (11) Motion to Withdraw as Attorney, in case 1:18-cv-01114-JMF; terminating (11) Motion to Withdraw as Attorney, in case 1:18-cv-01193-JMF; terminating (11) Motion to Withdraw as Attorney, in case 1:18-cv-01201-JMF; terminating (9) Motion to Withdraw as Attorney, in case 1:18-cv-01389-JMF; terminating (9) Motion to Withdraw as Attorney, in case 1:18-cv-01459-JMF; terminating (9) Motion to Withdraw as Attorney, in case 1:18-cv-01528-JMF; terminating (9) Motion to Withdraw as Attorney, in case 1:18-cv-01627-JMF; terminating (14) Motion to Withdraw as Attorney, in case 1:18-cv-01667-JMF; terminating (8) Motion to Withdraw as Attorney, in case 1:18-cv-01725-JMF; terminating (8) Motion to Withdraw as Attorney, in case 1:18-cv-01796-JMF; terminating (8) Motion to Withdraw as Attorney, in case 1:18-cv-01880-JMF; terminating (7) Motion to Withdraw as Attorney, in case 1:18-cv-01902-JMF; terminating (8) Motion to Withdraw as Attorney, in case 1:18-cv-01904-JMF; terminating (8) Motion to Withdraw as Attorney, in case 1:18-cv-01905-JMF; terminating (8) Motion to Withdraw as Attorney, in case 1:18-cv-01984-JMF; terminating (8) Motion to Withdraw as Attorney, in case 1:18-cv-01985-JMF; terminating (7) Motion to Withdraw as Attorney, in case 1:18-cv-02047-JMF; terminating (10) Motion to Withdraw as Attorney, in case 1:18-cv-02063-JMF; terminating (8) Motion to Withdraw as Attorney, in case 1:18-cv-02082-JMF; terminating (7) Motion to Withdraw as Attorney, in case 1:18-cv-02114-JMF; terminating (7) Motion to Withdraw as Attorney, in case 1:18-cv-02160-JMF; terminating (7) Motion to Withdraw as Attorney, in case 1:18-cv-02161-JMF. The Clerk of Court is directed to terminate 14-MD-2543, Docket No. 5210, and all related motions in the member case dockets. The Clerk of Court is also directed to terminate the Firms' Motion to Seal (14-MD-2543, Docket No. 5212) as moot. Should the Firms file a revised motion to withdraw as counsel, they shall file the motion in 14-MD-2543 and only the member case docket or dockets related to the motion. Should the Firms have any questions on how to do so, they should call the ECF Help Desk at 212-805-0800 or Chambers at 212-805-0282. (Signed by Judge Jesse M. Furman on 3/14/2018) As Per Chambers, Filed In Associated Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 03/14/2018)
MOTION for Robert C. Hillard and Thomas J. Henry to Withdraw as Attorney for Plaintiffs listed on Exhibit A. Document filed by Brenda Gregory, Jennifer Lankford. (Attachments: # 1 Exhibit A, # 2 Exhibit B)Filed In Associated Cases: 1:14-md-02543-JMF et al.(Hilliard, Robert) (Entered: 03/13/2018)
ORDER NO. 142 [Regarding Withdrawal of Representation by Hilliard-Henry as to Certain Plaintiffs]: It is hereby ORDERED that: 1. As a condition of withdrawal, the Firms shall, no later than March 2, 2018, serve upon each of the Affected Plaintiffs (1) a copy of the "Notice to Certain Plaintiffs in General Motors Ignition Switch Litigation" attached hereto as Exhibit B; (2) a copy of this Order; and (3) a copy of this Court's Individual Rules and Practices for Pro Se Cases, which is attached to this Order as Exhibit C. The Firms shall file proof of such service no later than March 5, 2018. Each of the Affected Plaintiffs is hereby ordered to file, in the form of a new lawsuit, an amended and severed complaint in the United States District Court for the Southern District of New York within ninety (90) days that is, by May 24, 2018 and to pay any filing fee associated with filing a complaint pursuant to 28 U.S.C. § 1914(a). New GM shall promptly serve Affected Plaintiffs with any Order issued by the Court that may affect their rights and file proof of such service. (Signed by Judge Jesse M. Furman on 2/26/2018) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 02/26/2018)
ORDER NO. 141 [Regarding Next Steps for the Post-Sale Production Part and Service Part and Category C Personal Injury and Wrongful Death Cases]: Targeted, case-specific fact discovery of Wave One plaintiffs shall commence on Monday, February 26, 2018, and shall conclude by Thursday, August 2, 2018. Wave One plaintiffs shall present their expert witnesses for deposition on or before Friday, October 5, 2018. Fact discovery in the Category C Replacement Early Trial Candidates will commence on the date the Court makes its selection for the two bellwether trials and will conclude no later than Monday, July 16, 2018. Expert discovery in the Category C Replacement Early Trial Candidates will take place as follows: Lead Counsel shall disclose their expert witnesses and submit any reports required under Fed. R. Civ. P. 26(a)(2)(B) on or before Friday, August 17, 2018. Lead Counsel shall present their expert witnesses for deposition on or before Friday, September 14, 2018. New GM shall disclose expert witnesses and submit any reports required under Fed. R. Civ. P. 2(a)(2)(B) on or before Friday, September 28, 2018. New GM shall present its expert witnesses for deposition on or before Friday, October 19, 2018. Absent good cause, no rebuttal expert reports shall be permitted. Expert discovery for the Category C Replacement Early Trial Candidates shall conclude by Friday, October 19, 2018. By Friday, October 12, 2018, the parties will meet and confer and submit a joint proposed order regarding deadlines for submitting any Daubert motions, dispositive motions, and motions in limine for Bellwether Trial Nos. 12 and 13. By that same date, the parties should submit joint or competing letters addressing the order of trials and setting forth the parties' supporting rationales for their proposed orders. The Court will then designate the order of the Category C Replacement Early Trial Candidates. Bellwether Trial Nos. 12 and 13 will commence on January 28, 2019 and March 25, 2019, respectively. (Signed by Judge Jesse M. Furman on 2/20/2018) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 02/20/2018)
ORDER: IT IS HEREBY ORDERED that the next status conference in this matter, previously scheduled to begin at 9:30 a.m. on March 23, 2018, will begin instead at 1:30 p.m. Counsel shall promptly update the MDL website with the new time. (Signed by Judge Jesse M. Furman on 2/14/2018) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) Modified on 2/16/2018 (ras). (Entered: 02/14/2018)
ORDER OF DISMISSAL: The Unrepresented Plaintiffs' claims are DISMISSED without prejudice. Should Unrepresented Plaintiffs fail to move to reopen their cases within forty-five days of the date of this Order, New GM may again move to dismiss their claims with prejudice; any opposition to such a motion would be due within twenty-one days; any reply would be due within seven days of any opposition. The Clerk of Court is directed to terminate 14-MD-2543, Docket No. 4851, and to mail to the Unrepresented Plaintiffs a copy of this Order, as well as a copy of this Court's Individual Rules and Practices in Civil Pro Se Cases, available at http://nysd.uscourts.gov/judge/Furman. (Motions terminated: (4851 in 1:14-md-02543-JMF) MOTION to Dismiss Plaintiffs with Prejudice for Failure to Comply with the Court's October 10, 2017 Order (ECF 4696), filed by General Motors LLC.) (Signed by Judge Jesse M. Furman on 1/30/2018) As Per Chamber, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 01/31/2018)
SUMMONS RETURNED EXECUTED Summons and Complaint,,, served. General Motors, LLC served on 12/7/2017, answer due 12/28/2017. Service was made by MAIL. Document filed by David Lebert; Kevin King; Dorothy Green; Dalton Berry; James Hodges; Kenneth Evans; Tiara Alexander; Ashton Aldrich-Kaut; Kayla Gilmore; Kristopher Kaye; Israel Edom; Carmen Horacek; Meghan Hodge; Stephanie Houtz; Tristan Reynolds(as Next Friend of DD1, a Minor); Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased); Kristal D Hawk; Jerry Branch; Candis Kester; Beverly Martin; Barbara Carrell; Hope Griffin; Tristan Reynolds(as Next Friend of DD2, a Minor); Constance Chirgotis; Gordon Jeffrey; Candelario Becerra; Rita Aye; Bess Biesma-Chastain; Donald Chattin; Vakesha Dorsey; Jeff Bidel; Michael Banks; Donna Mackey; Rhonda Graves; Pamela Beasley. (Toups, Mitchell) (Entered: 01/31/2018)
MEMORANDUM OPINION AND ORDER re: (4875 in 1:14-md-02543-JMF) LETTER MOTION to Compel Lead Counsel to produce the documents withheld in response to New GM's September 22, 2017 Requests for Production addressed to Judge Jesse M. Furman from Andrew B. Bloomer, P.C. dated December 15, 2017, filed by General Motors LLC. Upon review of the parties' submissions (GM Ltr. Mot.; Pls.' Opp'n; Pls.' Supp. Ltr.; Docket No. 4966 ("GM Supp. Br.")), including an in camera review of the materials at issue, the Court grants New GM's motion with respect to the Questionnaires and denies its motion with respect to the E-mails. The Clerk of Court is directed to terminate Docket No. 4875, and as further set forth herein, (Signed by Judge Jesse M. Furman on 1/29/2018) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) (Entered: 01/29/2018)
FILING ERROR - ELECTRONIC FILING OF NON-ECF DOCUMENT - NOTICE OF VOLUNTARY DISMISSAL Pursuant to Rule 41(a)(1)(A)(i) of the Federal Rules of Civil Procedure, the plaintiff(s) and or their counsel(s), hereby give notice that the above-captioned action is voluntarily dismissed, With prejudice against the defendant(s) All Defendants. Document filed by Potts Law Firm LLP. Filed In Associated Cases: 1:14-md-02543-JMF et al.(Jensen, Eric) Modified on 1/29/2018 (km). (Entered: 01/26/2018)
NOTICE OF WITHDRAWAL AS COUNSEL: PLEASE TAKE NOTICE that the following attorneys hereby withdraw as counsel of record for Defendant General Motors LLC in the above-referenced actions, and respectfully request that their names be removed from the court's electronic mail notice list and counsel's service list: Heather A. Bloom, Ebony S. Johnson, and Catherine E. Stahl. Kirkland & Ellis LLP continues to serve as counsel for Defendant General Motors LLC in the above-referenced actions through Richard C. Godfrey, P.C., and Andrew B. Bloomer, P.C., who are registered as Electronic Filing Users on the CM/ECF system, and request that all future correspondence and papers in this action continue to be directed to them and all other attorneys at Kirkland & Ellis LLP serving as counsel of record in these matters. (Attorney Catherine E. Stahl; Heather A. Bloom and Ebony Sunala Johnson terminated.) (Signed by Judge Jesse M. Furman on 12/21/2017) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) Modified on 12/26/2017 (ras). Modified on 12/26/2017 (ras). (Entered: 12/22/2017)
OPINION AND ORDER [Regarding New GM's Motion for Partial Summary Judgment on Successor Liability] re: (3519 in case 14-md-2543) MOTION for Summary Judgment on Successor Liability. New GM's motion for summary judgment is GRANTED with respect to Plaintiffs' successor liability claims under Maryland law, but DENIED with respect to Plaintiffs' claims under the other laws of the other eight jurisdictions still at issue. Per Docket No. 4831, the parties shall submit letters regarding the next steps for personal injury cases in the MDL, addressing the implications of this Opinion and Order among other things, by the earlier of (1) one week after the Court's ruling on the pending motions in the Phase Two, Category B cases; or (2) January 3, 2018, and as further set forth herein. (Signed by Judge Jesse M. Furman on 12/19/2017) As Per Chambers, Filed In All Member Cases: 1:14-md-02543-JMF et al. (ras) Modified on 12/20/2017 (ras). (Entered: 12/19/2017)
ORDER NO. 139 [Prohibiting the Filing of Consolidated Personal Injury / Wrongful Death Complaints]: Heretofore, the Court has tolerated the filing of omnibus consolidated complaints on behalf of multiple plaintiffs bringing personal injury and wrongful death claims arising out of different accidents or incidents. The Court has done so, even where joinder would not be permitted under a strict application of the Federal Rules of Civil Procedure, in the interests of efficiency. Upon reflection, the Court has decided to put an end to the practice because it creates administrative problems for the Clerk's Office (problems that will become even more pronounced if or when individual cases are transferred or remanded to transferor courts) and because it deprives the Court of filing fees to which it is due. (Requiring each plaintiff to pay a separate filing fee has an additional salutary effect: It helps ensure that plaintiff's counsel will adequately screen each plaintiff's claim to ensure that it is valid and belongs in these proceedings.) Accordingly, effective immediately, counsel may no longer file consolidated complaints on behalf of multiples plaintiffs where joinder would not be permitted under the Federal Rules. Counsel shall instead file individual complaints (along with the requisite Statement of Relatedness) with separate filing fees for each case. SO ORDERED. (Signed by Judge Jesse M. Furman on 12/08/2017) Filed In Associated Cases: 1:14-md-02543-JMF et al.(ama) (Entered: 12/08/2017)
MDL CONSOLIDATION ORDER: Pursuant to the June 12, 2014 Order of the Judicial Panel on Multidistrict Litigation (JPML), In re: General Motors Ignition Switch Litigation, 14-MD-2543, has been assigned to this Court for coordinated or consolidated pretrial proceedings. (14-MD-2543, Docket No. 1). As this case, Aldrich-Kaut v. General Motors LLC, 17-CV-9323, has been directly filed in this district and, based on the Court's review, appears to be within the scope of the multidistrict litigation, it is hereby ORDERED that it is transferred to 14-MD-2543 for coordinated or consolidated pretrial proceedings, subject to the process for objections set forth in Section II of Order No. 8. (14-MD-2543, Docket No. 249, at 4-5). Counsel is advised to consult the docket in 14-MD-2543, including Order Nos. 1 and 25 (14-MD-2543 Docket Nos. 19 and 422, respectively), as well as the GM Ignition Switch MDL website (http://gmignitionmdl.com), for other pertinent information. The Clerk of Court is directed to docket this Order in the above-captioned cases. (Signed by Judge Jesse M. Furman on 12/5/2017) Filed In Associated Cases: 1:14-md-02543-JMF, 1:17-cv-09323-JMF(mro) (Entered: 12/06/2017)
FILING ERROR - DUPLICATE DOCUMENT - NOTICE OF APPEARANCE by Lanson Bordelon on behalf of Ashton Aldrich-Kaut, Tiara Alexander, Rita Aye, Michael Banks, Pamela Beasley, Candelario Becerra, Dalton Berry, Jeff Bidel, Bess Biesma-Chastain, Jerry Branch, Barbara Carrell, Donald Chattin, Constance Chirgotis, Vakesha Dorsey, Israel Edom, Kenneth Evans, Kayla Gilmore, Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased), Rhonda Graves, Dorothy Green, Hope Griffin, Kristal D Hawk, Meghan Hodge, James Hodges, Carmen Horacek, Stephanie Houtz, Gordon Jeffrey, Kristopher Kaye, Candis Kester, Kevin King, David Lebert, Donna Mackey, Beverly Martin, Tristan Reynolds(as Next Friend of DD1, a Minor), Tristan Reynolds(as Next Friend of DD2, a Minor). (Bordelon, Lanson) Modified on 11/30/2017 (db). (Entered: 11/29/2017)
NOTICE OF APPEARANCE by James R. Dugan, II on behalf of Ashton Aldrich-Kaut, Tiara Alexander, Rita Aye, Michael Banks, Pamela Beasley, Candelario Becerra, Dalton Berry, Jeff Bidel, Bess Biesma-Chastain, Jerry Branch, Barbara Carrell, Donald Chattin, Constance Chirgotis, Vakesha Dorsey, Israel Edom, Kenneth Evans, Kayla Gilmore, Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased), Rhonda Graves, Dorothy Green, Hope Griffin, Kristal D Hawk, Meghan Hodge, James Hodges, Carmen Horacek, Stephanie Houtz, Gordon Jeffrey, Kristopher Kaye, Candis Kester, Kevin King, David Lebert, Donna Mackey, Beverly Martin, Tristan Reynolds(as Next Friend of DD1, a Minor), Tristan Reynolds(as Next Friend of DD2, a Minor). (Dugan, James) (Entered: 11/29/2017)
FILING ERROR - DUPLICATE DOCUMENT - NOTICE OF APPEARANCE by James R. Dugan, II on behalf of Ashton Aldrich-Kaut, Tiara Alexander, Rita Aye, Michael Banks, Pamela Beasley, Candelario Becerra, Dalton Berry, Jeff Bidel, Bess Biesma-Chastain, Jerry Branch, Barbara Carrell, Donald Chattin, Constance Chirgotis, Vakesha Dorsey, Israel Edom, Kenneth Evans, Kayla Gilmore, Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased), Rhonda Graves, Dorothy Green, Hope Griffin, Kristal D Hawk, Meghan Hodge, James Hodges, Carmen Horacek, Stephanie Houtz, Gordon Jeffrey, Kristopher Kaye, Candis Kester, Kevin King, David Lebert, Donna Mackey, Beverly Martin, Tristan Reynolds(as Next Friend of DD1, a Minor), Tristan Reynolds(as Next Friend of DD2, a Minor). (Dugan, James) Modified on 11/30/2017 (db). (Entered: 11/29/2017)
NOTICE OF APPEARANCE by Lanson Bordelon on behalf of Ashton Aldrich-Kaut, Tiara Alexander, Rita Aye, Michael Banks, Pamela Beasley, Candelario Becerra, Dalton Berry, Jeff Bidel, Bess Biesma-Chastain, Jerry Branch, Barbara Carrell, Donald Chattin, Constance Chirgotis, Vakesha Dorsey, Israel Edom, Kenneth Evans, Kayla Gilmore, Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased), Rhonda Graves, Dorothy Green, Hope Griffin, Kristal D Hawk, Meghan Hodge, James Hodges, Carmen Horacek, Stephanie Houtz, Gordon Jeffrey, Kristopher Kaye, Candis Kester, Kevin King, David Lebert, Donna Mackey, Beverly Martin, Tristan Reynolds(as Next Friend of DD1, a Minor), Tristan Reynolds(as Next Friend of DD2, a Minor). (Bordelon, Lanson) (Entered: 11/29/2017)
NOTICE OF APPEARANCE by David Scalia on behalf of Ashton Aldrich-Kaut, Tiara Alexander, Rita Aye, Michael Banks, Pamela Beasley, Candelario Becerra, Dalton Berry, Jeff Bidel, Bess Biesma-Chastain, Jerry Branch, Barbara Carrell, Donald Chattin, Constance Chirgotis, Vakesha Dorsey, Israel Edom, Kenneth Evans, Kayla Gilmore, Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased), Rhonda Graves, Dorothy Green, Hope Griffin, Kristal D Hawk, Meghan Hodge, James Hodges, Carmen Horacek, Stephanie Houtz, Gordon Jeffrey, Kristopher Kaye, Candis Kester, Kevin King, David Lebert, Donna Mackey, Beverly Martin, Tristan Reynolds(as Next Friend of DD1, a Minor), Tristan Reynolds(as Next Friend of DD2, a Minor). (Scalia, David) (Entered: 11/29/2017)
FILING ERROR - DEFICIENT DOCKET ENTRY (SEE 10 Notice) - NOTICE OF APPEARANCE by James R. Dugan, II on behalf of Ashton Aldrich-Kaut, Tiara Alexander, Rita Aye, Michael Banks, Pamela Beasley, Candelario Becerra, Dalton Berry, Jeff Bidel, Bess Biesma-Chastain, Jerry Branch, Barbara Carrell, Donald Chattin, Constance Chirgotis, Vakesha Dorsey, Israel Edom, Kenneth Evans, Kayla Gilmore, Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased), Rhonda Graves, Dorothy Green, Hope Griffin, Kristal D Hawk, Meghan Hodge, James Hodges, Carmen Horacek, Stephanie Houtz, Gordon Jeffrey, Kristopher Kaye, Candis Kester, Kevin King, David Lebert, Donna Mackey, Beverly Martin, Tristan Reynolds(as Next Friend of DD1, a Minor), Tristan Reynolds(as Next Friend of DD2, a Minor). (Dugan, James) Modified on 12/5/2017 (db). (Entered: 11/29/2017)
REQUEST FOR ISSUANCE OF SUMMONS as to General Motors, LLC, re: 1 Complaint,,,. Document filed by Ashton Aldrich-Kaut, Tiara Alexander, Rita Aye, Michael Banks, Pamela Beasley, Candelario Becerra, Dalton Berry, Jeff Bidel, Bess Biesma-Chastain, Jerry Branch, Barbara Carrell, Donald Chattin, Constance Chirgotis, Vakesha Dorsey, Israel Edom, Kenneth Evans, Kayla Gilmore, Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased), Rhonda Graves, Dorothy Green, Hope Griffin, Kristal D Hawk, Meghan Hodge, James Hodges, Carmen Horacek, Stephanie Houtz, Gordon Jeffrey, Kristopher Kaye, Candis Kester, Kevin King, David Lebert, Donna Mackey, Beverly Martin, Tristan Reynolds(as Next Friend of DD1, a Minor), Tristan Reynolds(as Next Friend of DD2, a Minor). (Toups, Mitchell) (Entered: 11/28/2017)
RULE 7.1 CORPORATE DISCLOSURE STATEMENT. No Corporate Parent. Document filed by Ashton Aldrich-Kaut, Tiara Alexander, Rita Aye, Michael Banks, Pamela Beasley, Candelario Becerra, Dalton Berry, Jeff Bidel, Bess Biesma-Chastain, Jerry Branch, Barbara Carrell, Donald Chattin, Constance Chirgotis, Vakesha Dorsey, Israel Edom, Kenneth Evans, Kayla Gilmore, Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased), Rhonda Graves, Dorothy Green, Hope Griffin, Kristal D Hawk, Meghan Hodge, James Hodges, Carmen Horacek, Stephanie Houtz, Gordon Jeffrey, Kristopher Kaye, Candis Kester, Kevin King, David Lebert, Donna Mackey, Beverly Martin, Tristan Reynolds(as Next Friend of DD1, a Minor), Tristan Reynolds(as Next Friend of DD2, a Minor).(Toups, Mitchell) (Entered: 11/28/2017)
STATEMENT OF RELATEDNESS re: that this action be filed as related to 14-md-2543. Document filed by Ashton Aldrich-Kaut, Tiara Alexander, Rita Aye, Michael Banks, Pamela Beasley, Candelario Becerra, Dalton Berry, Jeff Bidel, Bess Biesma-Chastain, Jerry Branch, Barbara Carrell, Donald Chattin, Constance Chirgotis, Vakesha Dorsey, Israel Edom, Kenneth Evans, Kayla Gilmore, Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased), Rhonda Graves, Dorothy Green, Hope Griffin, Kristal D Hawk, Meghan Hodge, James Hodges, Carmen Horacek, Stephanie Houtz, Gordon Jeffrey, Kristopher Kaye, Candis Kester, Kevin King, David Lebert, Donna Mackey, Beverly Martin, Tristan Reynolds(as Next Friend of DD1, a Minor), Tristan Reynolds(as Next Friend of DD2, a Minor).(Toups, Mitchell) (Entered: 11/28/2017)
COMPLAINT against General Motors, LLC. (Filing Fee $ 400.00, Receipt Number 0208-14410984)Document filed by David Lebert, Kevin King, Dorothy Green, Dalton Berry, James Hodges, Kenneth Evans, Tiara Alexander, Ashton Aldrich-Kaut, Kayla Gilmore, Kristopher Kaye, Israel Edom, Carmen Horacek, Meghan Hodge, Stephanie Houtz, Tristan Reynolds(as Next Friend of DD1, a Minor), Rhonda Graves(Representative of the Estate of Joseph B. Graves, Deceased), Kristal D Hawk, Jerry Branch, Candis Kester, Beverly Martin, Barbara Carrell, Hope Griffin, Tristan Reynolds(as Next Friend of DD2, a Minor), Constance Chirgotis, Gordon Jeffrey, Candelario Becerra, Rita Aye, Bess Biesma-Chastain, Donald Chattin, Vakesha Dorsey, Jeff Bidel, Michael Banks, Donna Mackey, Rhonda Graves, Pamela Beasley.(Toups, Mitchell) (Entered: 11/28/2017)
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