1
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NOTICE OF REMOVAL from Pottawatomie Cnty Dist Ct Case Number: CJ 02−714 by Defendant (nm) (Entered: 08/27/2002)
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Aug. 26, 2002
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Aug. 26, 2002
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RECEIPT For Money Received in the amount of $ 150.00, receipt # 092619 by Crowe Dunlevy (nm) (Entered: 08/27/2002)
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Aug. 26, 2002
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Aug. 26, 2002
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2
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NOTICE of Filing of Notice of Removal by defendant Res−Care Oklahoma (nm) (Entered: 08/27/2002)
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Aug. 26, 2002
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Aug. 26, 2002
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3
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ATTORNEY APPEARANCE for defendant Res−Care Oklahoma by Adam W Childers (nm) (Entered: 08/27/2002)
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Aug. 26, 2002
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Aug. 26, 2002
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4
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APPLICATION/MOTION of defendant Res−Care Oklahoma for an extension of time to respond to Complaint (nm) (Entered: 08/27/2002)
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Aug. 26, 2002
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Aug. 26, 2002
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5
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CERTIFICATE from Cecil Dunlap, Ct Clk of Pottawatomie Cnty, State Ct Caus No. C−02−714 re Notice of Removal to US Dist Ct. WD of OK (fp) (Entered: 08/29/2002)
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Aug. 28, 2002
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Aug. 28, 2002
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6
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ORDER by Honorable Joe Heaton granting motion for an extension of time to respond to Complaint [4−1] Res−Care OK Inc., Shl hv until September 9, 2002, to answer, file a mtn and/or otherwise respond to Plfs' Cmp herein (cc: all counsel) [EOD Date 8/29/02] (fp) (Entered: 08/29/2002)
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Aug. 29, 2002
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Aug. 29, 2002
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7
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ATTORNEY APPEARANCE for defendant Res−Care Oklahoma by Gayle L Barrett (cjs) (Entered: 09/05/2002)
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Sept. 5, 2002
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Sept. 5, 2002
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8
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ATTORNEY APPEARANCE for defendant Res−Care Oklahoma by Lynne F Saunders (nm) (Entered: 09/06/2002)
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Sept. 6, 2002
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Sept. 6, 2002
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9
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ANSWER by defendant Res−Care Oklahoma (fp) (Entered: 09/11/2002)
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Sept. 9, 2002
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Sept. 9, 2002
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10
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AMENDMENT by defendant Res−Care Oklahoma to answer [9−1] (fp) (Entered: 09/13/2002)
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Sept. 12, 2002
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Sept. 12, 2002
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11
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DISCLOSURE Statement filed by defendant Res−Care Oklahoma Inc. no parent corporation (fp) (Entered: 09/17/2002)
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Sept. 16, 2002
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Sept. 16, 2002
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DOCKET STATUS CONF ; status scheduling conf set for 10:20 11/5/02 (fp) (Entered: 09/17/2002)
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Sept. 17, 2002
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Sept. 17, 2002
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12
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JOINT DISCOVERY PLAN by plaintiff Richard Ledesma, plaintiff Paul DeJulius, plaintiff Jeff Miller, plaintiff Karen Pedersen, defendant Res−Care Oklahoma (fp) (Entered: 10/22/2002)
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Oct. 21, 2002
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Oct. 21, 2002
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13
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STATUS REPORT by plaintiff Richard Ledesma, plaintiff Paul DeJulius, plaintiff Jeff Miller, plaintiff Karen Pedersen, defendant Res−Care Oklahoma; jury trial demanded; est trial time 2 days liab and 2 days damages; bif req − no; possibility of settlement − fair; ptys consent to trial by magistrate judge − no (cjs) (Entered: 10/31/2002)
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Oct. 30, 2002
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Oct. 30, 2002
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15
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MOTION by defendant Res−Care Oklahoma for leave to file Second Amended Answer (fp) (Entered: 11/08/2002)
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Nov. 7, 2002
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Nov. 7, 2002
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16
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ORDER by Honorable Joe Heaton; GRANTS motion for leave to file Second Amended Answer [15−1] Dft Res Care OK, Inc. shl file its second amended ans w/i (5) days of the date of this Order (cc: all counsel) [EOD Date 11/8/02] (fp) (Entered: 11/08/2002)
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Nov. 8, 2002
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Nov. 8, 2002
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17
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AMENDED ANSWER [9−1] by defendant Res−Care Oklahoma (fp) (Entered: 11/12/2002)
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Nov. 8, 2002
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Nov. 8, 2002
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18
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MOTION by plaintiff Richard Ledesma, Paul DeJulius, Jeff Miller, Karen Pedersen and defendant Res−Care Oklahoma for an agreed protective order (nm) (Entered: 11/15/2002)
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Nov. 14, 2002
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Nov. 14, 2002
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19
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AGREED PROTECTIVE ORDER by Honorable Joe Heaton; granting ptys' motion for an agreed protective order [18−1] (cc: all counsel) (ap) (Entered: 11/15/2002)
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Nov. 15, 2002
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Nov. 15, 2002
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20
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NOTICE OF CONSENT to become a party plf by Chris Downing (fp) (Entered: 11/18/2002)
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Nov. 15, 2002
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Nov. 15, 2002
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21
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NOTICE of Consent to Becoma a Party by Catina Roquemore (fp) (Entered: 01/23/2003)
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Jan. 23, 2003
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Jan. 23, 2003
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22
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NOTICE by Frederick Shaw's Consent to Become a Party (fp) (Entered: 01/31/2003)
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Jan. 30, 2003
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Jan. 30, 2003
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23
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MOTION by plaintiff Richard Ledesma, plaintiff Paul DeJulius, plaintiff Jeff Miller, plaintiff Karen Pedersen for relief from the scheduling order (eh) (Entered: 02/03/2003)
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Jan. 31, 2003
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Jan. 31, 2003
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24
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ORDER by Honorable Joe Heaton; GRANTS plf's motion for relief from the scheduling order [23−1] The scheduling order herein be amended to reflect that the deadline for mediation as comtemplated in thie order be ext until the 1st day of April, 2003 (cc: all counsel) [EOD Date 2/5/03] (fp) (Entered: 02/05/2003)
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Feb. 5, 2003
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Feb. 5, 2003
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25
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ORDER by Honorable Joe Heaton; By its Feb 5, 2003 re [24−1] , Order, the Ct allowed the deadline for mediation to be ext until April 1, 2003. Rpts reflecting the results of such mediation hv not been filed. The parties are ordered to file, by April 15, 2003, a rpt indicating the date upon which the mediation was hled and the out come (whether the cs did or did not settle). (cc: all counsel) [EOD Date 4/9/03] (fp) (Entered: 04/09/2003)
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April 9, 2003
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April 9, 2003
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26
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NOTICE OF MEDIATION REPORT by plaintiffs' Richard Ledesma, Paul DeJulius, Jeff Miller, Karen Pedersen, and defendant Res−Care Oklahoma (fp) (Entered: 04/15/2003)
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April 14, 2003
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April 14, 2003
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27
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ORDER by Honorable Joe Heaton, Administrative Closing: That Clerk administratively terminate this action without prejudice to the rights of the parties to reopen for entry of any stipulation or order; if parties have not reopened within 30 days to obtain final determination, action will be deemed dismissed with prejudice (cc: all counsel) [EOD Date 4/16/03] (fp) (Entered: 04/16/2003)
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April 16, 2003
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April 16, 2003
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28
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MOTION by plaintiff Karen Pedersen for order for determination to be held in federal court (fp) (Entered: 05/15/2003)
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May 15, 2003
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May 15, 2003
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29
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MOTION by plaintiff Richard Ledesma, plaintiff Paul DeJulius, plaintiff Jeff Miller, plaintiff Karen Pedersen for extension of deadline (fp) (Entered:
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May 16, 2003
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May 16, 2003
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31
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STIPULATION by Plfs' Richard Ledesma, Paul DeJulius, Jeff Miller stipulate w/the dft Res−Care OK, Inc., that this action shl be dismissed w/prejudice. Each pty is to bear its own costs and atty fees. The clm of plf Karen Pedersen is not pt of or affectedd by this stipulation. (fp) (Entered: 06/13/2003)
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June 12, 2003
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June 12, 2003
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32
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MOTION by J. David Cawthon to withdraw as attorney of record for the plf Karen Pedersen (fp) (Entered: 06/16/2003)
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June 16, 2003
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June 16, 2003
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33
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ORDER by Honorable Joe Heaton that this cs will be reopened for resolution of any claims remaining as to Ms. Pedersen reopening the case GRANTING motion by Mr. Cawthon to withdraw as of record for the plf Karen Pedersen. [32−1] Mr. Cawthon is ordered to provide a cpy of this order to plf Kareh Pedersen by regular and certified mail. The "mtn for determination" is STRICKEN [28−1] (cc: all counsel) (fp) Modified on 06/18/2003 (Entered: 06/18/2003)
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June 18, 2003
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June 18, 2003
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34
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ORDER by Honorable Joe Heaton granting motion by J. David Cawthon to withdraw as attorney of record for the plf Karen Pedersen [32−1] attorney J David Cawthon for Karen Pedersen Fur that Atty Cawthon provide a cpy of this Order to plf Pedersen by regular mail and by certified mail. Fur Ordered that the plf Pedersen has (20) days fm the date of this Order to enter an appr by substitute cnsl or enter a pro se appr. Failure by the plf Pedersen to enter an appr in compliance w/this Order will result in this cs being dismissed w/without prejudice. (cc: all counsel) [EOD Date 6/18/03] (fp) (Entered: 06/18/2003)
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June 18, 2003
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June 18, 2003
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35
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CERTIFICATE of Compliance by all plaintiff purs to Ct's Order of June 18, 2003 (fp) (Entered: 06/23/2003)
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June 20, 2003
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June 20, 2003
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36
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MOTION by plaintiff Karen Pedersen for order to Appeal (fp) Modified on 07/22/2003 (Entered: 07/09/2003)
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July 8, 2003
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July 8, 2003
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DOCKET JURY ; jury trial set for 9:30 9/8/03 (fp) Modified on 07/11/2003 (Entered: 07/11/2003)
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July 10, 2003
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July 10, 2003
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37
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ORDER by Honorable Joe Heaton; Plf Karen Pederson has filed her "Mtn to Appeal" re [36−1], to which dft need not respond. The mtn apprs to address the question of whether she has signed, or could be forced to sign, a particular settlement agreement. Plf is under no obligation to enter into any particular settlement agreement. The Ct assumes no settlement has been agreed to by Ms. Pedersen. The Cs therefore remains set for trl on the Ct's Sept., 2003 trial dkt. Plf Pedersen is urged to secure cnsl if possible. If not, Ms. Pederson needs to familiarize herself w/the applicable the rules as well as the scheduling order in this cs. The Ct encourages the parties to confer as to resolution of the remaining clms and issues. Absent such resolution, the cs will be set for judicial settlement conf in ordinary course and for trial as indicated. (cc: all counsel) [EOD Date 7/15/03] (fp) Modified on 07/22/2003 (Entered: 07/15/2003)
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July 15, 2003
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July 15, 2003
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38
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ORDER by Honorable Joe Heaton, ; Settlement conf August 4, 2003 at 1:30 p.m. bf Magistrate Judge Gary Purcell (cc: all counsel) [EOD Date 7/18/03] (fp) (Entered: 07/18/2003)
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July 18, 2003
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July 18, 2003
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39
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REVISED STATEMENT ON SETTLEMENT CONFERENCE/NOTICE by plaintiff Richard Ledesma, plaintiff Paul DeJulius, plaintiff Jeff Miller, plaintiff Karen Pedersen (cjs) (Entered: 07/30/2003)
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July 30, 2003
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July 30, 2003
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40
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ORDER by Honorable Joe Heaton, Administrative Closing: That Clerk administratively terminate this action without prejudice to the rights of the parties to reopen for entry of any stipulation or order; if parties have not reopened within 30 days to obtain final determination, action will be deemed dismissed with prejudice (cc: all counsel) [EOD Date 8/4/03] (fp) (Entered: 08/04/2003)
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Aug. 4, 2003
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Aug. 4, 2003
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42
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STIPULATION OF DISMISSAL by plaintiff Richard Ledesma, defendant Res−Care Oklahoma that this action shl be dismissed with prejudice. Each party is to bear its own costs and atty fees. (fp) (Entered: 08/05/2003)
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Aug. 4, 2003
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Aug. 4, 2003
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