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Contract: Other | New York Eastern
Order(Other)
ORDER re 144 , the Parties' stipulation for Leave to File Second Amended Complaint on consent.
As an initial matter, the Parties' stipulation does not include a signature for Defendant MP Capital LLC even though MP Capital LLC is still listed on the docket as a Defendant party in this case. Defendant MP Capital LLC is not listed as a Defendant in 20 , the current operative First Amended Complaint, nor is Defendant MP Capital LLC listed in Plaintiffs' proposed Second Amended Complaint attached at ECF No. 144, Ex. A. The Court thus terminates Defendant MP Capital LLC as a party defendant.
All Parties have therefore stipulated to grant Plaintiffs leave to file the proposed Second Amended Complaint. Accordingly, as set forth in the attached Order, the Court grants Plaintiffs leave to file the proposed Second Amended Complaint by August 24, 2026. By September 7, 2026, any Defendants who wish to file responsive motions shall file a pre-motion letter not exceeding three (3) pages setting forth their intended responsive motions, their proposals for a briefing schedule, and the timing and sequencing of the motions. The filing of a pre-motion letter pursuant to this schedule shall constitute timely service of a motion pursuant to Rule 12(b). By September 10, 2026, Plaintiffs shall submit any response not exceeding three (3) pages. Ordered by Judge Kiyo A. Matsumoto on 8/19/2026. (KSC)
P.I.: Other | Ohio Northern
SEALED DOCUMENT
SEALED Document:Reply in Support of Plaintiffs' Motion to Compel Additional 30(b)(6) Deposition Time and Four Additional Fact Witness Depositions filed by Plaintiffs Liaison Counsel. Related document(s)(203 in 1:19-op-45853-DAP, 176 in 1:19-op-45852-DAP, 6679 in 1:17-md-02804-DAP), (172 in 1:19-op-45852-DAP, 6656 in 1:17-md-02804-DAP, 199 in 1:19-op-45853-DAP). (Attachments: # 1 Exhibit 1 - 8.6.26 email, # 2 Exhibit 2 - 5.11.26 email, # 3 Exhibit 3 - Dike depo excerpt)(Weinberger, Peter)
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