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Minutes | Filed: May 02, 2024 | Entered: May 02, 2024 Baptiste, M.D. v. Department of Defense et al
Civil Rights: Other | Hawaii
Motion Hearing 2 - Set Hearings Order on Motion to Withdraw as Attorney
EP: MOTION HEARING regarding [ECF 101 ] Attorney Andre' S. Wooten [sic] Motion to Withdraw as Attorney for Plaintiff Wagner Baptiste, M.D. ("Motion") held on 5/2/2024.
Plaintiff Wagner Baptiste, M.D. ("Plaintiff") also present.
Pro Hac Vice Counsel Dennis Lee and Nicholas Jurkowitz did not appear.
Court takes judicial notice of its records and files, including the following:
1. [ECF 101 ] Motion;
Arguments heard.
2. [ECF 105 ] Amended Declaration of Andre Wooten;
3. [ECF 107 ] Defendants Hawaii Health Systems Corporation, Lyric Santiago, M.D., and Dan Brinkman's Position Statement re: Attorney Andre' S. Wooten Motion to Withdraw as Attorney for Plaintiff;
4. [ECF 108 ] Defendant Queen's Health Systems' Statement of No Position in Response to Attorney Andre' S. Wooten's Motion to Withdraw as Attorney for Plaintiff Wagner Baptiste, M.D.;
5. [ECF 110 Defendants Department of Defenses and Jerri Curtis, M.D.S Statement of No Position in Response to Attorney Andre Wooten's Motion to Withdraw as Attorney for Plaintiff Wagner Baptiste, M.D.; and
6. All prior court proceedings and orders.Ruling:
Having carefully considered the merits of the instant Motion, the written submissions, and the reasons set forth during the hearing, the Court finds good cause and GRANTS the Motion. Mr. Wooten is permitted to withdraw as local counsel for Plaintiff.
In light of Mr. Wooten's withdrawal, both Dennis Lee and Nicholas Jurkowitz are deemed WITHDRAWN as Pro Hac Vice counsel for Plaintiff.
Court advises Plaintiff that unless and until he secures successor counsel in this matter, he is personally responsible for complying with all court orders and deadlines.
Court advises Plaintiff of his responsibilities as a pro se litigant, including compliance with all court rules, dates and deadlines. Court encourages Plaintiff to consult resources available on Court's website, including the Federal Rules of Civil Procedure and the Court's Local Rules. Court also advises Plaintiff of his obligation to communicate and cooperate with counsel in an attempt to explore good faith resolution of issues.
Court reminds Plaintiff he is obligated to update the Court concerning his address and telephone number, attend all proceedings, monitor the docket and otherwise, to diligently prosecute this case. Plaintiff is cautioned that failure to attend court proceedings and to diligently prosecute this action may result in appropriate sanctions, including dismissal of this case.
Plaintiff acknowledges the foregoing advisories.
To monitor status, the Court schedules a Telephone Conference for 7/26/2024 at 9:00 a.m. before Magistrate Judge Trader. No submissions required. Parties and other participants must call in at least five (5) minutes prior to the scheduled start time of the conference. Call-in instructions are below:
Dial-in number: 1-833-568-8864 (toll-free).
Meeting ID: 161 5641 6035.(ZOOM / 9:30 am - 9:55 am)
(MAGISTRATE JUDGE ROM TRADER)
(jo)COURT'S CERTIFICATE OF SERVICE - Pro Se (Non-Prisoner) Litigants that have consented to receive documents and Notices of Electronic Filings by email, have been served electronically at the e-mail address listed on the (NEF). -
Motion | Filed: May 01, 2024 | Entered: May 01, 2024 Borrego Community Health Foundation v. Hebets et al
Racketeer/Corrupt Organization | California Southern
Dismiss for Failure to State a Claim Strike More Definite Statement
MOTION to Dismiss for Failure to State a Claim , MOTION to Strike Irrelevant and Time-Barred Allegations, MOTION for More Definite Statement by Karen Hebets. (Attachments: # 1 Memo of Points and Authorities)(Bourassa, Marcus)
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Response | Filed: May 01, 2024 | Entered: May 01, 2024 Baptiste, M.D. v. Department of Defense et al
Civil Rights: Other | Hawaii
Statement of No Position
STATEMENT of No Position re 101 MOTION to Withdraw as Attorney For Plaintiff Defendants Department of Defenses and Jerri Curtis, M.D.S Statement of No Position in Response to Attorney Andre Wootens Motion to Withdraw as Attorney for Plaintiff Wagner Baptiste, M.D. [ECF No. 101]; COS filed by Jerri Curtis, M.D., Department of Defense. (Weinstein, Tracy)
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