Filed: Apr. 28, 2017
Latest Update: Apr. 28, 2017
Summary: ORDER SAM E. HADDON , District Judge . On March 22, 2017, the Court revised the pretrial schedule in this case to require, inter alia, that each party file an amended preliminary pretrial statement on or before April 21, 2017, addressing, with strict compliance, each matter listed in Fed. R. Civ. P. 26(a)(1)(A)(i) and (ii) and L.R. 16.2(b)(1). 1 The preliminary pretrial statements filed on April 21, 2017, fail to comply with the Court's March 22, 2017, Order. Deficiencies in the April 2
Summary: ORDER SAM E. HADDON , District Judge . On March 22, 2017, the Court revised the pretrial schedule in this case to require, inter alia, that each party file an amended preliminary pretrial statement on or before April 21, 2017, addressing, with strict compliance, each matter listed in Fed. R. Civ. P. 26(a)(1)(A)(i) and (ii) and L.R. 16.2(b)(1). 1 The preliminary pretrial statements filed on April 21, 2017, fail to comply with the Court's March 22, 2017, Order. Deficiencies in the April 21..
More
ORDER
SAM E. HADDON, District Judge.
On March 22, 2017, the Court revised the pretrial schedule in this case to require, inter alia, that each party file an amended preliminary pretrial statement on or before April 21, 2017, addressing, with strict compliance, each matter listed in Fed. R. Civ. P. 26(a)(1)(A)(i) and (ii) and L.R. 16.2(b)(1).1 The preliminary pretrial statements filed on April 21, 2017, fail to comply with the Court's March 22, 2017, Order.
Deficiencies in the April 21, 2017, preliminary pretrial statements include:
1. Defendants Joseph Lamport, Jr., individually and on behalf of Rob's Easy Auto Buy Here/Pay Here, LLC and Katherine Lamport, individually and on behalf of Rob's Easy Auto Buy Here/Pay Here, LLC's Amended Preliminary Pretrial Statement2 does not address the matters listed in Fed. R. Civ. P. 26(a)(1)(A)(ii) and required by the Court's March 22, 2017, Order.
2. Plaintiff April Schmitt's Amended Preliminary Pretrial Statement3 does not include a summary of information known or believed to be known by each individual that may be used in proving or denying any party's claims or defenses as required under L.R. 16.2(b)(1)(J) and by the Court's March 22, 2017, Order.
3. Galusha, Higgins & Galusha, P.C. and Bradley Cook, CPA, individually and on behalf of Galusha, Higgins & Galusha, P.C.'s Preliminary Pretrial Statement4 does not address the matters listed in Fed. R. Civ. P. 26(a)(1)(A)(ii) and required by the Court's March 22, 2017, Order.
ORDERED:
Necessary and appropriate revisions to the preliminary pretrial statements to address the deficiencies outlined in paragraphs 1, 2, and 3 above shall be filed and served on or before May 5, 2017.