83
CASE NAME DK ADIGA V SMITH L AREVALO V KURDYLA L AROCHO V ALLSTATE L AUGUSTAVE V LAGUERTA L BENNETT V LANGLOIS L Bl DO-JIMENEZ L BLATT-WALKER V UGHETTA L BRENNER V GAUDIN L BUCZEK V CASTILLO L BUCZEK V CASTILLO L CALIGUARI V KO L HILLSBOROUGH CARROLL V NANDHA L CARROZZELLI V L MARINOVA CASALINO V CONDRON L COLMONT V CHILDS L CONOVER V FCA L CORSO V HEIZER L CONSEL YEA V SIEIRA L CONSELYEA V SIEIRA L DESILVA V NUNEZ L DIRECT COAST TO L COAST V DRUMM DOMAN V PADRINO L THE HONORABLE ANDREA CARTER, J.S.C. DK# YR 3988 16 1281 16 1084 16 2294 15 892 15 7087 15 3983 16 1979 16 3182 16 3182 16 2983 15 1785 16 6283 16 83 16 6185 15 3888 16 5380 16 3923 16 3186 15 2782 16 880 16 7080 15 MOTION LIST FOR March 17th, 2017 M# MOTION TYPE 360 RECONSIDER 670 COMPEL IME & EXTEND 81 REINSTATE 670 BAR TESTIMONY 47 SJ 662 REOPEN & EXTEND 68 REINSTATE 740 STRIKE & SUPPRESS 374 STRIKE & SUPPRESS 376 DISMISS W/0 PREJ 340 COMPEL DEP 344 STRIKE & SUPPRESS 200 DISMISS W/0 PREJ 712 EXTEND 696 EXTEND 563 EXTEND 288 DISMISS W/0 PREJ EXTEND & COMPEL 620 IME 946 XM COMPEL IME & EXTEND 525 COMPEL DISC 339 QUASH SUBPOENA 363 ENFORCE ORDER OPP N N N N y N N N N N N N N N N y OUTCOME NOTES GRANTED ADJ 31-Mar GRANTED TRANSFER GRANTED RED IN TRANSFER DENIED REDIN GRANTED GRANTED W/D ADJ 31-Mar W/D W/D W/D W/D GRANTED GRANTED GRANTED W/D GRANTED IN PART AS MODIFIED DENIED AS MOOT GRANTED GRANTED IN PART AS MODIFIED W/D

THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

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Page 1: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

CASE NAME DK ADIGA V SMITH L

AREVALO V KURDYLA L

AROCHO V ALLSTATE L AUGUSTAVE V

LAGUERTA L

BENNETT V LANGLOIS L Bl DO-JIMENEZ L

BLATT-WALKER V UGHETTA L

BRENNER V GAUDIN L

BUCZEK V CASTILLO L

BUCZEK V CASTILLO L CALIGUARI V KO

L HILLSBOROUGH

CARROLL V NANDHA L

CARROZZELLI V L

MARINOVA CASALINO V CONDRON L

COLMONT V CHILDS L CONOVER V FCA L CORSO V HEIZER L

CONSEL YEA V SIEIRA L

CONSELYEA V SIEIRA L

DESILVA V NUNEZ L

DIRECT COAST TO L

COAST V DRUMM

DOMAN V PADRINO L

THE HONORABLE ANDREA CARTER, J.S.C.

DK# YR 3988 16

1281 16

1084 16

2294 15

892 15 7087 15

3983 16

1979 16

3182 16

3182 16

2983 15

1785 16

6283 16

83 16 6185 15 3888 16 5380 16

3923 16

3186 15

2782 16

880 16

7080 15

MOTION LIST FOR March 17th, 2017

M# MOTION TYPE 360 RECONSIDER

670 COMPEL IME &

EXTEND 81 REINSTATE

670 BAR TESTIMONY

47 SJ 662 REOPEN & EXTEND

68 REINSTATE

740 STRIKE & SUPPRESS

374 STRIKE & SUPPRESS

376 DISMISS W/0 PREJ

340 COMPEL DEP

344 STRIKE & SUPPRESS

200 DISMISS W/0 PREJ

712 EXTEND

696 EXTEND 563 EXTEND 288 DISMISS W/0 PREJ

EXTEND & COMPEL 620

IME

946 XM COMPEL IME &

EXTEND 525 COMPEL DISC

339 QUASH SUBPOENA

363 ENFORCE ORDER

OPP N

N

N

N

y N

N

N

N N N N

N

N

N

y

OUTCOME NOTES GRANTED

ADJ 31-Mar

GRANTED

TRANSFER GRANTED RED IN

TRANSFER DENIED REDIN

GRANTED

GRANTED

W/D

ADJ 31-Mar

W/D

W/D

W/D

W/D

GRANTED GRANTED

GRANTED W/D

GRANTED IN PART AS

MODIFIED DENIED AS

MOOT GRANTED

GRANTED IN PART AS

MODIFIED W/D

Page 2: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

DOSSANTOS V HILTON L 5381

HOMEWOOD 16 648 AMEND COMPLAINT N GRANTED

EMERSON V BEL TRAN L 1287 16 76 AMEND COMPLAINT &

GRANTED EXTEND

GANDHI V RITE AID L 2586 16 797 COMPEL DISC N ADJ 31-Mar GAVARONE V GVMG L 3688 14 766 EXTEND N GRANTED

GOMEZ V PLASENCIA L 581 16 837 DISMISS W/0 PREJ W/D

GONCALVES V MECCA L 3887 16 440 STRIKE & SUPPRESS W/D 17-Mar

GREENBRIAR V JP L 3681 16 MORGAN 383 DISMISS W/0 PREJ N GRANTED 17-Mar

HANNA V VIOLA L 5798 15 537 DISMISS W/0 PREJ N GRANTED HENDRSON V KATZ L 6280 15 293 DISMISS W/0 PREJ W/D

!PIVOT SOLUTIONS V L 2385 16 TESCRA 89 SJ y ADJ 13-Apr

IVEY V PROGRESSIVE L 1185 16 704 DISMISS W/0 PREJ W/D JAWAD V ALLSTATE L 4588 15 564 EXTEND y DENIED

KANU V COHEN L 617 16 832 EXTEND N GRANTED LAINEZ V BELL YTM L 4582 14 823 EXTEND GRANTED

LEDER V GOVERNORS L 5688 16 POINTE 587 DISMISS W/0 PREJ N ADJ 31-Mar

LONG V RITE AID L 881 16 107 STRIKE & SUPRESS N GRANTED LOPEZ V ZIMMERMAN L 7083 15 586 EXTEND N GRANT

LOPEZ V ZIMMERMAN L 7083 15 820 EXTEND N DENY AS

MOOT

LOPEZ-HERNANDEZ V DENIED

CHUA L 586 16 489 EXTEND N WITHOUT

PREJUDICE

MALKIN V PUMPTOWN L 4480 14 309 ENFORCE

W/D 17-Mar SETTLEMENT

MARINA DISTRICT V DJ 117286 08

KENNEDY 497 ENFORCE LR N GRANTED

MCKENNA V GEOFFROY L 5479 16 331 DISMISS W/0 PREJ N ADJ 31-Mar DENIED

MORA V LIPSON L 3285 16 829 STRIKE & SUPPRESS y WITHOUT PREJUDICE

REINSTATE, ENTER DENIED NUNEZ V GONZALEZ L 3887 15 126 DEFAULT, AMEND N WITHOUT

COMPLAINT PREJUDICE PAPOUTSAKIS V VIOLA L 5805 15 504 DISMISS W/0 PREJ W/D

PARIKH V PATEL L 2687 16 369 ENFORCE LR N GRANTED PATASSO V PRECISE L 7386 15 134 SJ N ADJ 13-Apr

PATASSO V PRECISE L 7386 15 791 DECLARATORY y DENIED

JUDGMENT

QUILES V CAPPA L 1380 16 567 EXTEND N GRANT

RAMOS V GROVER L 4686 16 INVESTMENTS 333 STRIKE & SUPPRESS N W/D

Page 3: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

RAMOS V VALEX L 3080 16 896 DISMISS W/0 PREJ N GRANTED

RIECKS V BOA L 5087 16 698 DISMISS W/0 PREJ N GRANTED

RIVERA V ATTISANO L 4486 16 483 DEPOSIT POLICY

N GRANTED LIMITS

ROBERTS V DRESDNER L 679 16 473 EXTEND & COMPEL y GRANTED IN PART

ROPER V MATTHEWS L 4797 15 101 SJ N ADJ 31-MAR TRANSFER

REDIN

ROPER V MATTHEWS L 4797 15 601 XM SJ N ADJ 31-MAR TRANSFER

RED IN

ROZLAZL Y V. DYMEK L 7087 16 490 ENTER DEFAULT N GRANTED

RUTHER V GONCALVES L 3781 15 332 COMPEL DISC y GRANTED

RUTHER V GONCALVES L 3781 15 15 COMPEL DEP N GRANTED

SABAL V MACK-CALI L 589 16 169 EXTEND W/D

REALTY

SANCHEZ V WOOTEN L 2598 16 707 DISMISS W/0 PREJ W/D TRANSFER

REDIN

SANTIAGO V ARGIX L 6084 15 533 STRIKE & SUPPRESS N GRANT 17-Mar

SEFERIAN V L 5333 15 763

APPROVE N GRANTED

CAMARDELLA SETTLEMENT

SHONIBARE V MENDEZ L 782 16 553 EXTEND N GRANTED

SHORT V JHAVERI L 10786 14 27 SJ N GRANTED

SOUTH BRUNSWICK V L 1090 15 342 RECONSIDER y be:"416):,

TRANSFER ACRISURE REDIN

SPECTRA GROUP V L 6186 16

PILLAI 518 COMPEL DISC N GRANTED

TABET V GIUBILATO L 3579 16 773 SUB SERVICE N GRANTED VIERA-CHAU V REYES L 781 16 451 ENFORCE LR N W/D VIERA-CHAU V REYES L 781 16 454 ENFORCE LR N DENIED VIERA-CHAU V REYES L 781 16 453 ENFORCE LR N DENIED

WALKER V RWJUH L 3782 15 689 EXTEND N GRANTED WILLIAMS V PAGLIARO L 1479 16 ??? REINSTATE & AMEND NIED WITHOUT PREJUDICE

WOCLAW V PATEL L 1288 16 264 EXTEND N GRANTED WYATT V GEICO L 2186 16 676 DISMISS W/0 PREJ W/D

Page 4: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s
Page 5: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

KING LAW FIRM JOHN W. KING, ESQ. ATTORNEY AT LAW 17 Academy Street, Suite 1110 P.O. Box 32430 Newark, New Jersey 07102 (973) 596-1850 Attorney for Plaintiffs Attorney ID: 040122001

KOTESHWARAADIGA,

Plaintiff,

V.

JAHLISA SMITH, LEE McNEIL

Defendant(s).

MAH 1 'l 20/l

Hon. Andmci G. Garter, J.S.c.

SUPERIOR COURT OF NEW JERSEY MIDDLESEX COUNTY: LAW DIVISION DOCKET NO.:

CIVIL ACTION

ORDER

GRANTED THIS MATTER having been brought to the attention of the Court by John W. King,

Esq., attorney for the Plaintiff seeking an Order vacating the Order of dismissal with prejudice,

allowing Defendant, Jahlisa Smith to be served at her respective last known addresses or in the

alternative serve the insurance company and Reinstate Plaintiff's Complaint to the active Trial

Calendar; and the Court having heard the arguments of counsel; and having read the papers

submitted; and for good cause shown and/ or exceptional circumstances; h

IT IS on this day of , 2017

ORDERED as follows:

1. The effective date of the Order is , 2017

2. The Plaintiff is granted relief as follows:

9

Page 6: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

a) Ordered that the Order entered on February 3, 2017, dismissing

Plaintiffs Complaint with prejudice is hereby vacated; and it is further

b) Ordered that Plaintiffs Complaint is hereby restored to the Active Trial

Calendar; and it is further

c) Ordered that Defendants, Jahlisa Smith be served at her respective last

known addresses ~y substitute service on NJ Manufacturers Ins. Co and

it is further

d).

J.S.C.

HON. ANDREA G. CARTER, J.S.C.

~k..d~~-

IO

Page 7: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

LAW OFFICES OF KENNETH L. GONZALEZ & ASSOCIATES KENNETH L. GONZALEZ, ESQ. - # 033421995

IF"1 ij (-'-, '1 ll (.,

M~.R 1 '1 ! I

283 HIGH STREET Hon. /\ndroa G. Car1or, J.S.C. P.O. BOX 830 PERTH AMBOY, NEW JERSEY 08861 PH. (732) 442-2500 FAX (732) 442-0114 ATTORNEY FOR PLAINTIFF

ROSARIO AROCHO,

PLAINTIFF,

v.

ALLSTATE INSURANCE COMPANY, JOHN DOE 1-X, JANE ROE, 1-X AND ABC CORP. (names being fictitious as true identity is presently unknown),

DEFENDANTS.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY

DOCKET NO: MID-L-1084-16

CIVIL ACTION

ORDER

GRANTED THIS MATTER having come before the Court in application of

KENNETH L. GONZALEZ, ESQ., attorney for plaintiff, for an Order

vacating the dismissal entered on September 2, 2016 by the Court

for Lack of Prosecution and restoring the above matter to the

active trial list; and good cause shown,

-1 ---A~ I 1 /1 r-f IT IS ON THIS \ / day of /V;c., r ~ 2017;

ORDERED that the above matter is hereby restored to the

active trial list; and it is

FURTHER ORDERED that a copy of this Order shall be served

on all parties within

OPPOSED UNOPPOSED

te here

'J. s .c. HON. ANDREA G. CARTER, J.S.C.

Page 8: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

Eric Kuper Esq. - NJ Attorney ID #028001987 Martin Kane & Kuper . ATTORNEYS AT LAW

41&10

FILED 03/ 63/ 1

MAR 11~" 2017

180 Tices Lane - Bldg B, Suite 200 Hon. Andrea G. Carter, J.S.C. East Brunswick, New Jersey 08816 (732) 214-1800 - Phone (732) 214-0307 - Fax Attorneys for Defendants, Avegail Laguerta and Andre M. Laguerta

ARICILIA AUGUSTAVE,

Plaintiff,

vs.

A VEGAIL LAGUERTA, ANDRE M. LAGUERTA and DENISE F. LAURIA-VENITELLI,

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION - MIDDLESEX COUNTY

Docket No. L-2294-15

Civil Action

ORDER

MOTION GRANTED

THIS MATTER being opened to the Court on Friday, March 3, 2017, by Eric

Kuper, Esq., of Martin Kane & Kuper, attorneys for defendants, Avegail Laguerta and Andre

M. Laguerta, on a Notice of Motion to extend discove1y, and it appearing to the Court that , \ I

due notice of this Motion has been given to all counsel, and the Court having considered the

matter and for good cause shown,

IT IS on this l',tl..day of March, 2017,

ORDERED that any reference/testimony to MRI films from Seashore Diagnostics of

plaintiffs right shoulder taken on September 26, 2014 and cervical and lumbar spine taken on

April 1, 2015, are hereby barred at the tiU1;e of trial; and it is further

ORDERED that a true and correct copy of this Order be served upon all counsel

within seven (7) days of the date hereof.

/ /

Opposed ( ) Unopposed (.-1') J.S.C.

HON. ANDREA G. CARTER, J.S.C.

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Gill & Chamas, L.L.C. By: Max J. Stagliano, Esq. (#019112000) P.O. Box 760 655 Florida Grove Road Woodbridge, New Jersey 07095 732-324-7600 732-324-7606 (fax) Attorneys for Plaintiff

. TRACY BENNETT,

Plaintiff,

vs.

JOAN M. LANGLOIS, ET AL.

Defendant.

1·11' R O '"' '.,., .. 1 1;/J.\ 0 .:a,eJl/

Hon. Andr8a G. GGriBr, J.8.C.

SUPERIOR COURT OF NEW JERSEY

LAW DIVISION: MIDDLESEX COUNTY f/

7 DOCKET NO.: MID-L-892-15 JI 'f,

Civil Action

ORDERFORSUMMARYJUDGMENT THAT PLAINTIFF BREACHES THE

VERBAL THRESHOLD AS A MATTER OFLAW

DE:N"ED This matter being opened to the Court by Max J. Stagliano, Esq., of the furn of Gill & f '

Chamas, LLC, attorneys for the plaintiff in the above entitled matter, and the matter having been

submitted in accordance with Rule 4:46-1, et seq.; and the Court having considered the pleadings

submitted; and for good cause shown;

)(" AA,11lh IT IS on this ___ d __ day of_-'-/-v1_~--'--l---~' 2017;

39· -8 as a matt r oflaw;

Page 10: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

D, that with re ect to amages, the trie of£ ct shall there re only have

ORDERED, that a copy of the Order shall be served upon all parties within 7 days

from the date hereof. ---~-1 ·. . (

~ ~ ..... · '..=d-~:---·---

OPPOSED ~ --- J.S.C.

-wm~TER,J.S.C. PAPERS FILED WITH THE COURT:

( ) Answering Papers ( ) Reply Papers

Page 11: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

Law Office of Robert A Raskas 371 Hoes Lane, Suite 105 Piscataway, NJ 08854 (732) 981-1649 (Telephone) (732) 981-1657 (Fax) By: Teresa Valle, Esq., 04242-2006

Attorney for Defendant, Jesus Cueva

I·,.~ .,._: .,.·•.- , cc•, .. , \~i'

'I'~ .. , fr /41-( ! '1 L - '

,''j

( i

1f(ctp'd--..,

o3 / 1'9-( /7-,

JUAN L. BIDO-JIMENEZ, SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY DOCKETNO. MID-L-7087-15

Plaintiff,

-vs

JESUS R. CUEVA, ABC-XYZ CORPS. (fictitious names true names presently unknown) and JOHN DOES 1-10 (fictitious names, true names presently unknown)

I Defendants. !

Civil Action

ORDER TO EXTEND THE DISCOVERY PERIOD

GRANTED

This matter having been opened to the Court on Motion of Teresa Valle, Esq., attorney for

defendant, Jesus Cueva, for an Order to Reopen and Extend Discovery one-hundred and twenty

(120) days from March 17, 2017, and with the attempt to obtain the consent of our adversary, and

the Court having read and considered the moving papers, and for exceptional circumstances

appearing;

,,/\ Ii 'I ITISonthis_1_1 __ ._dayof lv(d,-L n ,2017:

ORDERED that the independent medical examination of plaintiff scheduled for April 20, 2017 is court ordered; and it is further

ORDERED that all defense expert reports shall be served by July 14, 2017; and it is further

Page 12: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

ORDERED that discovery end date be reopened and extended for one-hlilldred and twenty (120) days lilltil July 15, 2017; and it is further

ORDERED that a copy of the within Order be served on[ll __ n:.:i::s. ~~~

of the date hereof. ~--------·-

/ -===~-::--i--~

__ 7 __ days

() Opposed (}Unopposed

-------~-< HON. ANDREA G. CARTER, J.S.C.

Page 13: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

', I if

Tamer M. Abdou, Esq. ID # 028621995 ABDOU LAW OFFICES, LLC i·!o1L 1\nilrnn c~. Cnricr, ,J.S.C. 124 Westfield Avenue Clark, New Jersey 07066 (732) 540-8840 Attorneys for Plaintiff TMA/PI-1107/0rder to Reinstate

MARCY BLATT-WALKER,

Plaintiff,

SUPERIOR COURT OF NEW JERSEY LAW DIVISION:

vs. MIDDLESEX COUNTY DOCKET NO. L-3983-16

THOMAS B. UGHETTA, RICHARD L. UGHETTA, ABC CORPS 1-10, JOHN DOE 1-10 and JANE DOE Civil Action--4( 1-10 (fictitious defendants)

Defendant. ORDER

~~OTION GRANTED

THIS MATTER having been brought before the Court on application by Tamer M.

Abdou, Esq., of Abdou Law Offices, LLC, Attorneys for Plaintiff, MARCY BLATT­

WALKER, for an Order to Reinstate Plaintiffs Complaint; and the Court having considered the

Plaintiffs moving papers along with supporting certifications and exhibits thereto; and, for good

cause appearing for the making and the entry hereof;

ORDERED that Plaintiffs Complaint be Reinstated; and,

IT IS FURTHER ORDERED that \I copy of th~ ?rder/1e served on all parties within . ~ u~ __ days ofthe~:i;~~--·--..

~~

J.S.C.

HON. ANDREA G. CARTER, J.S.C.

Page 14: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

HOAGLAND, LONGO MORAN, Dlll!ST & DOut<AS, LLP ATTORNEYS AT LAW

NORTH JERSEY 40 PATERSON ST PO B0X480 NS.IV BRUNSVVICK, NJ

SOUTH JERSEY 701 VIAl.TSEY'S Mill RD SUITE 202 HAMMONTON, NJ

ff :f-1;)._

03/!=J/1-::;.-

Jeffrey J. Czuba, Esq. (ID# 21901998) f[) HOAGLAND, LONGO, MORAN, DUNST & DOUKAS, LLP 40 Paterson Street, PO Box 480 MAR 1 't dii f New Brunswick, NJ 08903 (732) 545-4717 Attorneys for Defendant, Kathleen Condron and Taryn Condron

I-Ion. Andrea C. Carier, JS.C.

Plaintiff,

NICHOLAS CASALINO

vs.

Defendants,

KATHLEEN CONDRON AND TARYN CONDRON.

SUPERIOR COURT OF NEW JERSEY MIDDLESEX COUNTY LAW DIVISION

DOCKET NO. MID-L-83-16

CIVIL ACTION

ORDER

i\/l()TiO!\J (.:lRA.NTED THIS MATTER having been brought before the Court on Motion of Hoagland, Longo,

Moran, Dunst & Doukas, LLP, attorneys for Defendant, Kathleen Condron and Taryn Condron,

for an Order to extend time for discovery to be completed, and the Court having reviewed the

moving papers and for good cause shown;

ORDERED that the discovery end date shall be extended until June 30, 2017, to allow

the following discovery to be completed:

• Plaintiff to produce medical authorization for RWJUH Rahway by March 20, 2017;

• Plaintiff to appear for the scheduled deposition on April 18, 2017;

• Plaintiff to appear for his orthopedic medical examination on April 26, 2017;

• Plaintiff to appear for his neurological examination on May 23, 2017;

• Defendant to serve expert reports by June 30, 2017; and

J.S.C.

HON. ANDREA G. CARTER, J.S.C.

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CAMPBELL, FOLEY, DELANO & ADAMS, LLC. STEPHEN CZESLOWSKl-040081999 601 BANGS AVENUE P. 0. Box 1040 ASBURY PARK, NEW JERSEY 07712-1040 Telephone: (732) 775-6520 Attorneys for Defendants, Childs/Sirois Our File No. 1-38, 126-SCZ

Plaintiff

CARLOS D. COLMONT

vs.

Defendants

GUY CHILDS, GLORIA SIROIS, "JOHN DOE",

"JANE DOE" and "XYZ CORP."(fictitious names),

GEICO INDEMNITY COMPANY

!'°) I~

MAR 1 '7 ;:U'i/

I Ion. Andrea G. Carier, J.S.C.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION

MIDDLESEX COUNTY

DOCKET NO. MID-L-6185-15 , /" /<[p

C. ·1 A . .J <,, 1v1 ct1on ·s(I_

ORDER TO EXTEND DISCOVERY PURSUANT TO R.4:24-1

i'V10Tl0N GRANTED

The above entitled matter having been opened to the Court on March 17, 2017, by Campbell, Foley,

Delano & Adams, L.L.C., attorneys for the defendants, Guy Childs and Gloria Sirois, on motion to extend

discovery until March 26, 2017, and it appearing to the satisfaction of the Court that the motion may be

granted, it is hereby

ORDERED on this day of 2017, that the discovery be and is hereby extended

until May 25, 2017; and it is further

ORDERED that the following items of discovery are to be completed on or before the dates listed below:

t;t~Jj a.Defendant's expert medical reports are to be served by

~ b. New Discovery End date

l1ull e;,::,and it is further

4/26/17

5/25/17

ORDERED that no Trial or Arbitration shall be scheduled before the end of the1NewvD1tsciiv.e!C!-.J

of May 25, 2017; and it is ORDERED THAT ARBITRATION =p2' -:::1 All parties are to be served within SHALL BE SC~DULED FOR ~-__ _ seven(7)daysofthedatehereof. """':~ \•, (;-r" Zc I' HONJi;NTIRE--...-=T.:;E;:;;:R, J.S.C.

Page 16: THE HONORABLE ANDREA CARTER, J.S.C. - New … v heizer l consel yea v sieira ... desilva v nunez l direct coast to l coast v drumm doman v padrino l the honorable andrea carter, j.s

ROSEW ALDO RF PLLC By: Jon B. Waldorf, Esquire -Identification#: 006242007 501 New Karner Road Albany, New York 12205 518-869-9200 Attorney for Defendant, FCA US LLC

EDWARD CONOVER and MARTINE MAIGNAN,

Plaintiffs,

vs.

FCA US LLC,

Defendant.

MAR 1 7 20'/l

11011. /1ndrea G. Carter, J.S.C.

SUPERIOR COURT or NEW JERSEY LAW DIVISION MIDDLESEX COUNTY

DOCKETNO.: L-3888-16

CIVIL ACTION

PROPOSED ORDER GRANTING DEFENDANT'S MOTION TO EXTEND DISCOVERY

MOTION GRANTED

This matter comes before the Court on Defendant FCA US LLC's motion for an Order

extending and/or opening and extending the end date for discovery for an additional sixty (60)

days pursuant to Rule 4:24-l(c), to allow Defendant to conduct discovery including taking

Plaintiffs' deposition, completing a vehicle inspection and serving its expert disclosure. The

motion was made on notice to Jacqueline C. Herritt, Esq., attorney for Plaintiffs and Plaintiffs did

D /did not D oppose the motion. The Court having considered the papers submitted by the

parties, and good cause appearing,

IT IS on this \71( day of_~/1_:_I(~(_-~h~ ORDERED as follows:

1. The motion is hereby GRANTED.

2. The discovery end date shall be extended sixty (60) days from the date of this Order.

3. Plaintiffs shall appear for a deposition at a date, time, and location that is convenient to the

parties within twenty (20) days from the date of the entry of this Order.

I

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4. Plaintiffs shall produce the subject vehicle for an inspection by Defendant at an authorized

FCA US LLC dealership within twenty (20) days from the date of completion of the deposition of

the Plaintiffs.

5. Defendant shall provide its expert disclosure within twenty (20) days of completion of its

inspection of the subject vehicle.

6. The new discovery end date is -~;l_v_it_i_,'··'--' __,_}_]_+-_C_C_· ····_1_7-'------

A copy of this order has been given/sent to Jon B. Waldorf, Esq. and that attorney is

Fmiher Ordered to serve a copy of this order on all parties within seven (7) days ofreceipt of

same.

~Isl:!,,~~~~~~=-----~' J.S.C.

HON. ANDREA G. CARTER, J.S.C.

2

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Firm Code: H2 l File No.: 134057875 Cooper Maren Nitsberg Voss & DeCoursey Kimberly A. Frankiewicz, Esq. Bar#: 035852008 485 Route l South Building A, Suite 200 Iselin, NJ 08830 Ph: 732-362-3400; Direct dial: (732) 362-3383 Fax: (866) 827-4716 Attorne s for Defendant, Mann Sieira

CONSTANCE CONS EL YEA and GRANT J. CONSEL YEA, her husband,

Plaintiffs,

V.

MANNY SIEIRA and JOHN DOE I-X (being fictitious) and ABC CORPORA TION-XYZ CORPORATION (being fictitious),

Defendants.

,, ·1 ':J'

f 1,)1 · /1 L ,0 ' ·,

I,_· i.' .nri1n,1 C:1. Larfer, JS.C.

SUPERIOR COURT OF NEW JERSEY MIDDLESEX COUNTY

LAW DIVISION

CIVIL ACTION

DOCKET NO.: MID-3923-16

ORDER COMPELLING PLAINTIFF TO APPEAR FOR IME AND EXTENDING

DISCOVERY FOR 60 DAYS

-,:: ("\

l\~OTION GRANTED ,is 1rc

THIS MATTER having been opened to the Court by Kimberly A. Frankiewicz, attorney

for Defendant, Manny Sieira, for an Order compelling the Plaintiffs to submit to a medical

examination pursuant to R. 4: 19 and Extending Discovery for 60 Days, and the Court having

reviewed the moving papers submitted, and any opposition thereto, and for good cause

appeanng;

IT IS on this~)_7~, _1_day of /V] C(

ORDERED AS FOLLOWS:

' 2011

I. The time for completion of discovery is hereby extended for !todays from the

previous discovery end date.

2. The new discovery end is A"'\'-.J\ 1, +! ? C)

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/\ Pla/t(ffs s\all appear on/R,ril 5, 2017 at 11~0 A.M. for a m/i~ examina:jr(~-

wi,fh Dr. Ro~e1i Brill at/he )-ces of 303 0eo~e Street, S9fte I os,,('New/ / I .; t' ; \ ;

/i·unswick, N~~Y~or a me1~~nation. '~.//

Outstanding Discovery Discovery Shall Be Completed By Date Listed Below >----~~--~----------< Plaintiff's !ME

.A \ \ Expert E;cc,"'.'"2-'-----------,~~==-=----=----=----=----=------------1

IT IS FURTHER ORDERED that a copy of the within Order shall be served upon all

counsel within 7 ----'-------

Opposed Unopposed

(*) Party/Parties Requesting Discovery Extension

for _plaintiff ~defendant

for _plaintiff ~defendant

1s Order.

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. ..-,,"''

Thomas F. Rinaldi, Esq. - # 026152010 Eichen Crutchlow Zaslow & McElroy, LLP 40 Ethel Road Edison, New Jersey 08817 732/777-0100 Attorneys for Plaintiff(s) CONSTANCE CONSEL YEA, and GRANT J. CONSEL YEA, her husband,

Plaintiff( s ),

vs.

MANNY SIEIRA and JOHN DOE I-X (being fictitious), and ABC CORPORATION - XYZ CORPORATION (being fictitious),

Defendant( s)

MAR 11 7 2017 •

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY

I

fl 11

DOCKETNO. MID-L-3923-161 qo/ Civil Action

PROPOSED AMENDED ORDER

DEI\JIED~ This matter being brought before the Court on Notice of Motion by Eichen Crutchlow

Zaslow & McElroy, Attorneys for Plaintiff, and the Court having considered the pleadings filed

herein, and good cause having been shown;

'

~iJ~ ;/ IT IS on this_._!_' day of /(/Cir( ,, , 2017;

-, 0~ that Plaintiffs Cross Notice of Motion to extend discov~:~ndred

and twenty days (120}~t 1, 2017, is granted based on the pr~gjation of good cause; and

it is further "~ /

ORDERED that all expert ex~ ·ons d;be completed by June 20, 2017; and it is

further /

ORDERED /xperts' reports shall be supplied by 15, 2017; and it is further

ORDE~D that all expert depositions shall be finalized by J~20 7; and it is /

~r/

,'Ill parties are to be served within seven (7) days of the date hereof.

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l',•r, I' i· 1! ll. [) Kevin D. London, Esq. - 020231992 LAW OFFICES OF WILLIAM E. STAEHLE 445 South Street

MAR 1 '7 /iii/

P.O. Box 1938 I Ion, /111clro,: G, Car/er, J,S,C.

Morristown, New Jersey 07962-1938 (973) 631-7300

Attorneys for Defendant, Julio D. Nunez-Hernandez File No.: 2016044584-MX-KDL

MALCOLM DESILVA and SUPERIOR COURT OF NEW JERSEY VIVIANA RODRIGUEZ DESILVA, LAW DIVISION: MIDDLESEX COUNTY h/w, DOCKET NO.: MID-L-2782-16

Plaintiffs, CIVIL ACTION

vs. ORDER COMPELLING PLAINTIFF TO

JULIO D. NUNEZ-HERNANDEZ, RESPOND TO DISCOVERY DEMANDS et al.,

MOTION GRANTED Defendants.

THIS matter having been opened to the Court on a Motion by the

Law Offices of William E. Staehle, attorneys for defendant, Julio D.

Nunez-Hernandez, for an Order, compelling plaintiff to provide

signed Authorizations for the Release of Records, in accordance with

f. 4:17-4(f), and the Court having considered the motion papers, and

for good cause shown;

IT IS on this day of ~M~Cl~r~c~~~---~' 2017;

ORDERED that the Motion be, and hereby is, granted; and it is

further

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ORDERED that the plaintiff, Malcolm DeSilva, shall provide

fully executed Authorizations for the Release of Records, in

accordance with R. 4:17-4(f), to the moving party within ten (10)

days from the date of this Order; and it is further

ORDERED that a copy of this Order be served upon all counsel of

record within 7 days of the date,JJ]hs,J:~~-.~-~--

~--~-"-l---------c:;~

~- J.S.C. - -----~ Opposed HON. ANDREA G. CARTER, J.S.C.

/unopposed

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#33; 6-""/Fl-/(=t-

Daniel J, Cohen, Esq. - DJC-029071991 NEWMAN & SIMPSON, LLP 32 Mercer Street Hackensack, New Jersey 07601 (201) 487-0200 Attorneys for Defendants

Charles Drumm & CEA Sales, LLC

DIRECT COAST TO COAST, LLC; SELECTIVE TRANSPORTATION CORP,; and ALLIANCE SHIPPERS, INC.,

Plaintiffs,

vs.

CHARLES DRUMM and CEA SALES, LLC,

Defendants.

;_ ; l-:1 /;' ; ,. I IAR ·1 ' •. ,,,, ' /_ - ! LJJ/1

I SUPERIOR COURT OF NEW JERSEY i LAW DIVISION: MIDDLESEX COUNTY

I i Docket No.: MID-L-00880-16

I Civil Action

i ORDER QUASHING SERVICE ON STEVE ALPERIN, CPA AND

STAYING DISCOVERY

THIS MATTER having been brought to the Court's attention by

Newman & Simpson, LLP (Daniel J. Cohen, Esq., appearing),

attorneys for Defendants, Charles Drumm and CEA Sales, LLC, on

notice to Ronald Horowitz, Esq., attorney for Plaintiffs Direct

Coast to Coast, LLC; Selective Transportation Corp.; and Alliance

Shippers, Inc., via Motion for an Order quashing service of a

subpoena upon Steve Alperin, CPA and staying discovery; and for

good cause shown;

IT IS on this ~'day of February, 2017,

ORDERED that the Subpoena Duces Tecum, dated January 13,

2017, served upon Steven Alperin, CPA, in connection with the

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above-captioned matter be and hereby is

further

}'ORDERED that ~cl~scov~is matter be and hereby is

stayed 1.mt~Lltel'. 0~ ~urt; and it is further

ORDERED that a copy of this Order shall be served upon all

counsel within seven (7) days of receipt.

Opposed

Unopposed

-2-

Carter-Latimer, J.S.C.

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Clark Law Firm, PC William S. Peck, Esq. - 020821999 811 Sixteenth Avenue Belmar, New Jersey 07719 (732) 443-0333 (732) 894-9647 - fax Attorneys for Plaintiffs

BRUNO DOS SANTOS,

Plaintiff(s)

v.

IULTON HOMEWOOD SUITES; BRIAD CONSTRUCTION SERVICES; BlUAD CONSTRUCTION SERVICES, LLC; THE BIUAD GROUP; BRIAD LODGING GROUP BRANCHBURG II, LLC; EDGEWOOD CARPENTRY & CONTRACTING; EDGEWOOD CONSTRUCTION; EDGEWOOD CONTRACTING CORPORATION; APOGEE BUILDERS, LLC; SOUSA CONSTRUCTION, LLC; VINICIOS TOMAS DBA SOUSA CONSTRUCTION; JOHN DOES 1-20; ABC CORPORATIONS 1-20,

DEFENDANT(S)

I ~ ,

MAR 1 7 iiJ ii

Hon. i1ndre,1 G. Cn.rirw, .J.S.C.

SUl'EIUOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX

COUNTY

DOCKET NO.: MID-L-5381-16

Civil Action

ORDER SEEKING LEA VE TO FILE A FIRST AMENDED COMPLAINT

MOTION GRANTED

THIS MATTER being opened to the Court by William S. Peck, Esq., of the Clark Law

Firm, PC, attorneys for Plaintiff, for leave to file a First Amended Complaint; and it appearing all

parties have consented hereto;

IT IS on this I day of f"' l , 2017;

ORDERED that Plaintiffs Motion for Leave to File a First Amended Complaint be and

hereby is granted; and it is further

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ORDERED that Plaintiffbe and is hereby permitted leave to file a First Amended Complaint

to replace defendant JOHN DOES #1 to more accurately name Defendant, NEVILSON DE

SOUSA; and it is fmiher

ORDERED that defendants be and hereby are permitted to file amended answers and cross-

claims with respect to same; and it is further

ORDERED that a true and correct copy of this Order be served upon all counsel within

seven (7) days of the date hereof.

J.S.C.

HON. ANDREA G. CARTER, J.S.C. _ Opposed

V~nopposed

It is ORDERED that movant shall serve, or make available, to any new party, a copy of all discovery materials within 20 days after the service of the new party's initial pleading.

It Is ORDERED that II discovery in this case shall end on 20 -1.Z_ unless further extended b co rt order.

2

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[_,__~~·.:::i Q'.'.:,::-:-J

,:----_·-' i'\ i •,;;_,

ANGLIN, REA & CAHALANE, P.A. ',·:<}

Patrick H. Cahalane, Esq. ID#02152-1992 Attorney for Plaintiff(s)

MAR 1? lU Ii

!0i1. Andrnn G. Carier, JS.C. 1005 Eastpark Boulevard Cranbury, NJ 08512 (609) 409-0444

COLIN EMERSON

Plaintiffs vs.

OMER BELTRAN, ET AL

Defendants

SUPERIOR COURT OF NEW JERSEY LAW DIVISION

MIDDLESEX COUNTY

Docket No. MID-L-1287-16

Civil Action

i\lJOTIOWC3RANTED THIS MATTER being presented to the Court upon Notice of Motion duly

filed and served pursuant to Rule 1:6-2 by Patrick H. Cahalane, Esq. from

the law offices of Anglin, Rea & Cahalane, P.A., attorneys for plaintiff,

and the Court having considered the pleadings submitted herein, and no

one appearing in opposition hereto, and for good cause shown;

IT IS on this 1-r).i._ day of /{;IC{ rt~) ZOl)ORDERED that plaintiff

shall file an AMENDED COMPLAINT to include a count against AMERIPRISE

INSURANCE COMPANY/IDS PROPERTY CASUALTY INSURANCE COMPANY/AMERIPRISE AUTO

& HOME INSURANCE COMPANY for underinsured motorist benefits; and

IT IS FURTHER ORDERED that the discovery end date in this matter be

extended to July 15, 2017 as follows:

• depositions of all parties to be completed by May 15, 2017

• plaintiff to serve expert reports by June 15, 2017

• defendants to serve expert reports by July 15, 2017; and

IT IS FURTHER ORDERED that a copy of this Order be served on all

parties within days.

PAPERS CONSIDERED: Notice of Motion Movant's Affidavits Answering Affidavits Cross Motion Movant's Reply Other~~~~~~~-

HON. ANDREA G. CARTER, J.S.C.

It is ORDERED that movant shall serve, or m&Cz0 tl'IEJ!!a!Jle; to any new party, a copy of all discovery materials within 20 days after the service of the new party's Initial pleading.

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COSTELLO & MAINS, LLC By: Drake P. Bearden, Jr. Attorney I.D. No. 039202009 18000 Horizon Way, Suite 800 Mount Laurel, NJ 08054 (856) 727-9700 Attorneys for Plaintiff

RYANGAVARONE, Plaintiff(s),

vs.

GVMG II TRANSPORT, INC. and JOHN DOES 1-5 AND 6-10

Defendant(s).

M/\/i I ,- - -I - / /i

C1. Cai'ir:ir J (', c ',, ,\' ,.

SUPERIOR COURT OF NEW JERSEY MIDDLESEX COUNTY - LAW DIV.

CNILACTION

DOCKETNO: MID-L-3688-14

ORDER EXTENDING THE DISCOVERY END DATE

wlOTlON GRANTED

THIS MATTER having been opened to the Court by Drake P. Bearden, Jr., of Costello

& Mains, LLC, attorneys for Plaintiff, Ryan Gavarone, and the Court having considered the

moving papers submitted in support thereto, and any opposition thereto, as well as any

arguments of counsel, if any, and for other good cause shown;

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IT IS on this i day of 2017, hereby ORDERED as follows:

1. Plaintiffs Motion is GRANTED.

2. The discovery end date in this matter is hereby extended through and including

June 2, 2017.

3. Depositions of SAT witnesses George Soberal and Kenny Rogers shall be

conduct no later than June 2, 2017.

4. A copy of this Order shall be served upon counsel for Defendant within seven (7)

days ofreceipt.

UNOPPOSED

ORDERED THAT ARBITRATION SHALL BE SCHEDULED FOR

\ _r \ c;>\ \-.. _ (.,, C: \.1 ... ,f, ... /'\..i '< O "-

J.S.C.

HON. ANDREA G. CARTER, J.S.C.

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Tiffany Byczkowski, Esq.-000682012 McGovern Legal Services, LLC 850 Route 1 North P.O. Box 1111 New Brunswick, NJ 08903 (732) 246-1221 Attorneys for Plaintiff GREENBRIAR AT WHITTINGHAM COMMUNITY ASSOCIATION, INC.,

Plaintiff,

V.

JPMORGAN CHASE BANK, N.A., c/o CHASE HOME FINANCE, LLC,

Defendant.

I,

MIU/ 1 ?

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY

DOCKET NO.: L-003681-lJi ___ j -~~-Ir-

CIVIL ACTION

ORDER DISMISSING DEFENDANT'S ANSWER

!\~OTION GRANTED

THIS MATTER having been opened to the Court upon the motion of McGovern Legal Services, LLC, attorneys for Plaintiff, Greenbriar at Whittingham Community Association, Inc., (the "Association"), for an Order dismissing JPMorgan Chase Bank, N.A., c/o Chase Home Finance, LLC's Answer; and proper notice having been given to all parties, and the Court having considered the papers submitted in support of and in opposition to the application; and for good cause shown;

IT IS on this ~-\~1~+_1..~day of -~/VJ-~a~r~(~~~-·' 2017,

ORDERED that the Defendant's Answer is hereby dismissed for failure to

answer Interrogatories and provide responses to the Demand for Production of

Documents; and

IT IS FURTHER ORDERED that this Order shall be served on all parties

o( +\-.e o·"\i;,.e pos.\.11t-,.q o.f +h.i.f within seven (7) days a@regJ:., .J ~-=---·

~- ,J.S .. ·-_ ___ - ~ HON. AI\IDREAcr CARTER, J.S.C.

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KENT & McBRIDE, P.C. By: STEPHEN V, MCHUGH, ESQUIRE ATTORNEY ID. NO. 049441995 1040 KINGS HIGHWAY NORTH SUITE 600

ATTORNEY FOR DEFENDANT(S), Christina M. Viola and Beatrice A. Viola

tur:: q !

Fi ·; 1-

o 3) I 7 JIY

CHERRY HILL, NJ 08034 (856) 667-3113

MAR 1 '7 tili/

File No.: 649.80108A

Elpida Hanna,

Plaintiffs,

v.

Christina M. Viola and Beatrice A. Viola,

Defendants.

Helen Papoutsakis and Basilis Papoutsakis,

Plaintiff,

v.

Christina M. Viola and Beatrice A. Viola

Defendant.

Hon. /\ndren G. Carler, .J.S.C.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION - Middlesex COUNTY

DOCKET NO. L-5798-15

CIVIL ACTION

SUPERIOR COURT OF NEW JERSEY LAW DIVISION - Middlesex COUNTY

Docket No. L-5805-15

Civil Action

ORDER

MOTION GRANTED

THIS MATTER having been submitted to the Court by Kent &

McBride, P.C., attorneys for Defendants, Christina M. Viola and

Beatrice A. Viola, and the Court having reviewed the Defendants'

Motion to Dismiss Plaintiff's Complaint and Plaintiff, Elpida

Hanna's response thereto if any;

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It is, on this \l't~ day of , 2017; ORDERED and

ADJUDGED that Defendant's Motion to Dismiss Plaintiff, Elpida

Hanna's Complaint for failing to Answer Form "A" Uniform

Interrogatories, Supplemental Interrogatories and Respond to

Notice to Produce is hereby GRANTED without Prejudice; and it is

further

ORDERED and ADJUDGED that a true copy of this Order be "11h'M f~l1 c,ft~iJ Or~er

served on all counsel within 7

PAPERS CONSIDERED

Notice of Motion

Movant•s Certification

Movant 's Brief

Answering Certifications

Answering Brief

Cross-Motion

Movant 's Reply

Other

days

J.S.C.

HON. ANDREA G. CARTER, J.S.C.

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KING, KITRICK, JACKSON & McWEENEY 241 Brick Boulevard P.O. Box 547 Brick, New Jersey 08723 Telephone: (732) 920-8383

# 56:/f

lr:;'f Lf:D 63 Jr'r-/tr

MAR 1 7 2017

Hon. Andro8 G. Carler, ,J.S.C.

ATTORNEYS FOR DEFENDANT(S), Allstate NJ Ins. Co. NJ Attorney ID #029401998

EILEEN JAW AD, an individual,

Plaintiff(s),

vs.

ALLSTATE NEW JERSEY PROPERTY & CASUALTY INSURANCE COMPANY, a

business entity,

Defendant(s).

: SUPERIOR COURT OF NEW JERSEY LAW DIVISION

MIDDLESEX COUNTY : DOCKET NO.: MID-L-4588-15

Civil Action

ORDER

This matter having been opened to the Cami by King Kitrick Jackson & McWeeney,

LLC, attorneys for the Defendant, Allstate, and in the presence of and/or on notice to all patiies

and/or their respective counsel of record, and it appearing that cause having been shown,

,-_7t-~ /11 .. ,.,/ IT IS on this day of ,/! <! f l. n , 2017,

·~RDERED that discovery shall be and hereby is extended for a period of 45 days f

March 6, ~ April 20, 2017 pmsuant to Rule 4:24-l(c); and it is

FURTHER ORD"'"'"'V that all patiies shall obtain all medi

March 24, 2017; and it is

FURTHER ORDERED that all pati' me their expert repmis by April 7, 2017;

and is

FURTHER ORJ)E'lill< D all patiies shall supplement answers with ex

HON. ANDREA G. CARTER, J.S.C.

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STATHIS & LEONARDIS LLC 32 SOUTH MAIN STREET EDISON NJ 08837 (732) 494-0600; FAX (732) 494-0206 Attorneys for Plaintiffs File: 17-3982NJL Nicholas J. Leonardis #009651992

BUNDUKANU,

Plaintiff,

V.

STEVEN COHEN,

Defendant.

l'f) __ _ le_

MAR 1 I tiJi/

SUPERIOR COURT OF NEW JERSEY LAW DIVISION - MIDDLESEX COUNTY DOCKET NO. MID L 278-16

Civil Action

ORDER

----------------------------------------------------- SUPERIOR COURT OF NEW JERSEY LAW DIVISION - MIDDLESEX COUNTY DOCKET NO. MID L 617-16

MARK WEXLER, etc.,

Plaintiff,

V.

STEVEN COHEN, etc.,

Defendant.

MOTION GRANTEQ

This matter having come before the Court on March 17, 2017, on Motion of

Stathis & Leonardis, Attorneys for Plaintiff in this matter, for an Order extending discovery'

in this matter for an additional sixty ( 60) days to May 31, 2017, and the Court having

considered the moving papers, and there being no objection, and for good cause having been

~ .

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shown; ',,-- .J,. h.

IT IS, THEREFORE, on this_\_/_' day of March, 2017, 0 RD ERE D that

discovery in this matter be and is extended to May 31, 2017, for the following:

a. Plaintiff to provide all medical expert reports by April 15, 2017;

b. Defendant to provide any supplemental medical reports by May 15, 2017,

c. The April 7, 2017 arbitration hearing is adjourned and rescheduled to: -- '\ ,., )v,,e \' .. ll?II;

d. The May 22, 2017 trial date is hereby adjourned and rescheduled to: I, ·~, ·>' 1 ·1,n' ·,,,.17 · and rl'-']-., '\ ') LV , ,

IT IS FURTHER ORDERED that a copy of the within Order be served on counsel

within ~ days from the date hereof.

J.S.C. HON. ANDREA G. CARTER, J.S.C.

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MAR 1 '7 /Oil LIEBERMAN, RYAN, FORREST, & VOORHEES, LLC

ROBERT FORREST, ESQ. Hon. Andl'ca Ct Carler, ,U3.C.

Attorney ID No: 018881984 141 West End Avenue Somerville, New Jersey 08876 (908) 231-8844 Attorneys for Plaintiff

Plaintiffs,

Malia Lainez and Marco A. Lainez

vs.

Defendants,

Bell YTM Corporation; Candyland Crafts; Confires Fire Protection Service, LLC; And Jolm Does 1-5 (fictitious names)

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY

DOCKET NO.: MID-L-4582-14

ORDER

NlOTION GRANTED

THIS MATTER, having been brought before the Court on Friday, March 17, 2017

upon the Motion of Lieberman Ryan Forrest & Voorhees, LLC, attorneys for plaintiffs,

seeking an Order to extend Discovery, and

THE COURT having considered this application submitted by plaintiffs, and good

cause having been shown;

IT IS on this \ day of !/ ,\ ... .. ' I

/ 'if ! l1 f '""· }-\ 2017

ORDERED that the parties are to complete all Discovery listed below:

1. Discovery be extended to June 15, 2017

2. Plaintiff to serve Expert Reports by May 15, 2017

3. Defendant to serve Expert Reports by June 15, 2017

4. Expert Depositions to be completed by June 15, 2017

5. Deposition of Plaintiff to be completed by June 15, 2017

6. The Arbitration and Trial dates be adjourned until after e new Discovery End

\{'-\Ci

All parties are t be served within seven (7) days f the date hereof.

Date

HON.ANDA

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MICHELLE M. TULLIO, ESQ NJ Attorney ID No.: 001221994 MAR 1 '/ r:lii/ GARCES, GRABLER & LEBROCQ, P.C. 502 Amboy Avenue Hon. /lmlreo 0. Carter, JS.C Perth Amboy, NJ 08861 (732) 826-2300 Attorneys for Plaintiffs ALICELONG and BRUCE HAWKINS,

Plaintiffs, -vs-

RITE AID, ET AL

SUPERIOR COURT OF NEW JERSEY LAW DIVISION/MIDDLESEX COUNTY

DOCKET NO.: MID-L-881-16

Civil Action

-:tF- /o 7--

63/ 31 /It-

ORDER l\nOT!ON GRANTED Defendants.

This matter having been opened to the Corut upon application of Michelle M.

Tullio, Esq., Law Offices of Garces, Grabler and Lebrocq, attorney for plaintiff, for an

Order striking the answer and suppressing the defenses of defendant, ADV AN CED

LANDSCAPING INC., for failure to provide more specific answers to interrogatories

dated August 29, 2016 and November 17, 2016, or in the alternative compel defendant,

ADVANCED LANDSCAPING, INC. to provide written discovery and the Court having

considered the moving papers, any papers in opposition, and for good cause shown;

1th J1;t h IT IS on this I day of a re , 2017;

ORDERED that the answer be and is hereby stricken and the defenses be and

hereby suppressed of defendant, ADVANCED LANDSCAPING INC., for failme to

provide more specific answers to interrogatories dated August 29, 2016 and November

17, 2016; or in the alternative

IN ., be compell d to provid ·

rder; and

All parties are to be seived within seven (7) days of the date hereof.

____ days of the date of this ~--

HON. ANDREA G,CAM"ER, J.S.C. ' -·-- - - -------·" ____ ,,-;"'",-

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SPEV ACK LAW OFFICES Attorneys at Law 525 Green Street Iselin, N.J. 08830 Phone No: (732) 636-3030 Attorneys for Plaintiff 216404 JOSE L. LOPEZ AND LUZ MARIA LOPEZ

Plaintiffs

vs.

JASON M. ZIMMERMAN, CHARLES W. ZIMMERMAN and John Doe 1-X (said names being fictitious, true names presently unknown)

Defendants

MAl1 l ? . I

! ion. 1\nr/re,1 (i Cal'ior, JS.C.

) SUPERIOR COURT OF ) NEWJERSEY ) LAW DIVISION ) MIDDLESEX COUNTY ) ) ) ) ) ) ) ) )

Docket No.:MID-L-7083-15 .

ef CIVIL ACTION

ORDER TO EXTEND DISCOVERY FOR NINETY (90) DAYS

!\nOTION GRANTED

This matter having come before the Court upon the application of Spevack Law Offices

attorneys for Plaintiff, Jose L. Lopez, for an Order Extending the Discovery End Date and the Court

having read the moving papers, and any papers filed in opposition thereto, and for good cause

shown; t.,

IT IS on this day of , 2017 ;

1. ORDERED that pursuant to Rule 4:24-1, the Discovery End Date is hereby extended

for a period of ninety (90) days until June 19, 2017; and it is further

2. ORDERED that within the extended discovery period, the parties are to complete all

discovery including, but not limited to, the matters specifically indicated below:

A. Plaintiff shall complete her independent medical evaluation and report submit to defense counsel by May 15, 2017;

B. Defendant shall their evaluation by June 19, 20 ,

ORDERED THAT ARBITRATION SHALL BE SC}lEDlJLED FOR

])1 Isl '20 \1 -6-

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Law Offices of Styliades and Jackson BY: S,mgkJ'" Lee, Esq. Identification No. 027632008 9000 Midlantic Drive Snite 105 - First Floor Mount Laurel, NJ 08054 856-596-7778

MAIi l 7 /

/·lon.1\nrlrna Ci. Cnrior, J.S.C.

Attorneys for Defendants, Charles W. Zimmerman and Jason M. Zimmerman File No.: LA327-030494261-0005

JOSE L. LOPEZ and LUZ l'vlARIA LOPEZ, Plaintiffs,

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUN'lY DOCKET NO.: lvIID-L-7083-15

vs * CIVIL ACTION

* JASON M. ZIMMERMAN, CHARLES W. ZIMMERMAN and JOHN DOE I-X (said names being fictitious, true names presently unknown),

ORDER TO EXTEND DISCOVERY

of rr

Defendants.

The above matter having been brought before the Court upon motion, after attempting to

obtain consent of all parties, by the Law Offices of Styliades and Jackson, Sungkyu Lee, attorney for

Defendant, Mr. Charles W. Zimmerman and Mr. Jason M. Zimmerman, for an Order to Extend

Discovery and the court having considered the motion papers filed by the parties, and good cause

thus having been shown, it is, on this ! ;+ / .. day of lv1 a r ( ~- , 2017;

ORDERED, that di~rj"bc extended sixty (60) days or until .,M"'a"J'.-""'-'-""~-uu ~­IT IS FURTHER ORDERED tl~tthe-parties arc to cot ete,tll discovery listed below: ~----.. 1. Plaintiff to provide response to supplem a nott~tQ._£roduce by April 1, 2017;

"'s.._

.......<. '·-.... 2. Expert reports to be~y May 19. 2017; ---.. __ _

__.--·· -------3. A~iti6nal discovery is to be provided by the new discove1y end date in this 11mt_ter; .,..,_----IT IS FURTHER ORDERED, that a copy of this Order be served upon all counsel of

record within seven (7) days of receipt.

Opposed

Unopposed

1 __ · QC l .. r

·--:J,£-C ___ ····--HON. ANDREA G. CARTER, J.S.C.

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I li,11. 111,dn;;; u. Carier, J.s.c. John C. Rodriguez, Esq. - I.D. No. 012441994 BRAMNICK, RODIUGUEZ, GRABAS, ARNOLD & MANGAN, LLC 1827 East Second Street Scotch Plains, NJ 07076 Tel.: (908) 322-7000 / Fax: (908) 322-6997 Attorney for Plaintiffs, Juan Lopez-Hernandez and Guadalupe Fentanez-Bautista

JUAN LOPEZ-HERNANDEZ and GUADALUPE FENT ANEZ-BAUTISTA,

Plaintiff(s),

vs.

MATILDA CHUA, JOHN DOES 1-10 (said names being fictitious) and XYZ CORPORATIONS 1-10 (said names being fictitious),

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY DOCKETNO.: MID-L-586-16

CIVIL ACTION

ORDER TO EXTEND DISCOVERY END DATE BY NINETY (90) DAYS

THIS MATTER, having come before the Comt brought on by Bramnick, Rodriguez,

Mitterhoff, Grabas, Arnold & Mangan, LLC, John C. Rodriguez, Esq., appearing for the

plaintiffs, Juan Lopez-Hernandez and Guadalupe Fentanez-Bautista for an Order extending the

discovery end date for a period of ninety (90) days and for good cause being shown:

IT IS on this _____ day of ;l//11({ / , 2017;

ORDERED that discovery be and is hereby extended for a period of ninety (90) days

to July 9, 2017 during which the following shall occur:

I

ORDERED that deposition of all parties shall be completed by May 12, 2017; and it is f-Lirther

ORDERED that Plaintiff shall submit their expert repmts by June 9, 2017; and it is further

ORDERED that Defendm1t shall submit their expert reports by July 7, 2017; and it is further

ORDERED that a copy of this Order be served upon all counsel within seven (7) days of the

1\II parties are to be served within seven (7) days of the date hereof.

0

r HON.ANDREA

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FAILURE TO COMPLY WITH THIS ORDER MAY RESULT IN YOUR ARREST

M. RICHARD SCHEER #255761969 NAME CRANER, SATKIN, SCHEER, SCHWARTZ & HANNA P.C. MRS FILE NO. 0116-0208-870 ADDRESS: 320 PARK AVENUE, SCOTCH PLAINS, N.J. 07076 TEL.NO.: (908) 322-2333 Attorneys for Plaintiff

MARINA DISTRICT DEVELOPMENT CO LLC T/A BORGATA Plaintiff

- vs -JOSEPH KENNEDY Defendant MAR 1

GRANTED SUPERIOR COURT OF NEW JERSEY LAW DIVISION

MIDDLESEX COUNTY DOCKET NO.: DJ-117286-08. CIVIL ACTION JI /·Ion, Andrea G. Cm!er, JS.C. - - - - - - - - - - - -

ORDER TO ENFORCE LITIGANT'S RIGHTS

This matter being presented to the court by CRANER, SATKIN, SCHEER, SCHWARTZ & HANNA P.C. plaintiff's Motion for an Order Enforcing Litigant's Rights and defendant having failed to appear on the return date and having failed to comply with th e(check one) [) Order for Discovery previously entered in this case [] Information Subpoena.

(Do Not Write Below this Line - for Court Use Only)

It is on the il \L. day of , 20 I/ ORDERED and adjudged:

1. Defendant JOSEPH KENNEDY has violated plaintiff's rights as litigant;

2. Defendant JOSEPH KENNEDY shall immediately furnish answers as required by the [] Order for Discovery [] Information Subpoena;

3. If defendant JOSEPH KENNEDY fails to comply with the [ 1 Order for Discovery [] Information Subpoena within ten {10) days of the certified date of personal service or mailing of this order, a warrant for the defendant's arrest may issue out of this Court without further notice.

1111 parties are to be served within seven (7) days of the date hereof.

1ntif 's attor

PROOF E~HON.~

J.S.C.

, J.S.C.

On I I served a true copy of this Order on defendant JOSEPH KENNEDY (check one) [] personally, [] by sending it simultaneously by regular and certified mail, return receipt requested to 41 LARCHMONT RD

EDISON, NJ 08837-2704

I certify that the foregoing statements made by me are true. I am aware that if any of the foregoing statements made by me are wilfully false, I am subject to punishment.

Date: s/ M. RICHARD SCHEER

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(Jucfzard)I .. <Bok,ma, 'Esq.,Jlttorney LI]). # 56101

'l'fie £aw Offices of R. A. BO KMA, LLC 2667 :Nottingfzam 'Way, Suite 4Jl

'Trenton, :New Jersey 08619

(609)587-1449 .

Attorney for Plaintiffs

//,hR 1 'i . - L ,, \ ~'- •

SUPERIOR COURT OF NEW JERSEY MANUEL ANTONIO BADILLA MORA a.k.a., MANUEL BADILLA

Plaintiff, : LAW DIVISION- MIDDLESEX COUNTY

Civil Action

-vs-

ADAM CRAIG LIPSON, M.D., ROBERT BERCIK, M.D., IGEA BRAIN & SPINE,P.A., U.S. HEALTHWORKS MEDICAL GROUP, JOHN DOE (1-22), and XYZ CORPORATIONS(l-2),jointly,: severally, individually, and in the alternative

Defendants.

Docket No.: MID-L-- 3285-16.

ORDER

THIS MATTER having been open to the Court on Motion, by The Law Offices of

Richard A. Bokma, Esquire, Attorney for the Plaintiff,MANUEL ANTONIO BADILLA

MORA, upon notice to the defendants and all other parties, if any, and the Court having read and

considered the Plaintiff's application and papers, and the oral argument of counsel, if any, and

good and sufficient cause having been shown;

IT IS, on this \ 7i i-, day of -~/i_G_' "_i c_i_1 c_·_(, ___ , 2017;

ORDERED, that the pleadings of the defendants, ADAM CRAIG LIPSON, M.D.,

ROBERT BERCIK, M.D., IGEA BRAIN & SPINE, P.A., and U.S. HEALTHWORKS

shall be and hereby are STRICKEN FROM THE RECORD; and

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The Law Offices of

Frank A. Tobias, Esq. 1107 Convery Boulevard, Route 35 South Pertl1 Amboy, New.Jersey 08861 (732) 324-7777 FAX: (732) 324-154..S

Iii/AR l ';

Attorney for the Plaintiffs Ana Nunez, Francesca Perez & Jesus Perez

ANA NUNEZ AND FRANCESCA PEREZ. AN INFANT BY HER GUARDIAN AD L!TEM, ANA NUNEZ, AND JESUS PEREZ. AN INFANT BY HIS GUARDIAN AD L!TEM, ANA NUNEZ. AND ANA NUNEZ. INDIVIDUALLY

PLAINTIFFS,

VS.

LUISA GONZALEZ. ALEXANDER ABREU-HERNANDEZ, ESMEUN ABREU AND JOHN DOES (] THROUGH Xl(A PERSON, PERSONS OR ENTITY WHOSE IDENTITY IS NOT KNOWNlJO!NTLY, SEVERALLY OR IN THE ALTERNATIVE, ABC-XYZ CORPS, (A PERSON, PERSONS OR ENTITY WHOSE IDENTITY IS NOT KNOWN)JO!NTLY, SEVERALLY OR IN THE ALTERNATIVE), AMERICAN & FOREIGN INSURANCE COMPANY AND STATE FARM GUARANTY INSURANCE COMPANY

DEFENDANTS,

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY

DOCKET NUMBER M!D-L-3887-15 CIVIL ACTION

ORDER

*DENIED

TffiS MATTER having been brought before the Court upon application of JOSEPH A. SI CLARI, ESQ.,

attorney for the Plaintiffs, on March 3, 2017, submitted pursuant to Rule I :6-2; and the Court having been reviewed

the moving papers and for good cause shown:

IT IS THEREFORE, on this __ 11_+-_"'_ day of _ ___,_/[;!--'--'-({--'-'--(_C_h ____ , 2017,

ORDERED, that the within matter bearing docket number MID-L-3887-15 is hereby restored to the Court's

active trial calendar, and it is Further;

ORDERED, that Defaults be entered as to Defendants Luisa Gonzalez, Alexander Abreu-Hernandez and

Esmelin Abreu, and it is Further;

ORDERED, that Defendant American & Foreign Insurance Company and State Farm Insurance Company

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WILENTZ, GOLDMAN & SPITZER P.A. 90 Woodbridge Center Drive Suite 900, Box 10 Woodbridge, New Jersey 07095 (732) 636-8000 DAVID H. STEIN, ESQUIRE (ID No. 038461986) Attorneys for Plaintiffs, Parikh Investments, LLC, Sanand Parikh and Hema/ Parikh

PARIKH INVESTMENTS, LLC, SAN AND PARIKH AND HEMAL PARIKH

Plaintiffs, v.

OJAS PATEL AND CHIRAG PATEL A/KIA JOHN PATEL, JOINTLY, SEVERALLY AND IN THE ALTERNATIVE,

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY

Docket No.: MID-L-02687-16 J-178911-16

ORDER IN AID OF LITIGANT'S RIGHTS

~-~OTION GRt\NTED

THIS MATTER having been opened to the Court by Judgment Creditors, Parikh

Investments, LLC, Sanand Parikh and Hema! Parikh ("Plaintiffs") by and through their

attorneys, Wilentz, Goldman & Spitzer, P.A., on their Motion for an Order In Aid of Litigants'

Rights made pursuant to R. I :6-2 (the "Motion"); and the Court having read the Ce1iification

submitted in support of said Motion; and the Court having considered the responding papers, if

any, submitted by the Defendant, Ojas Patel; and it appearing that a Writ of Execution has been

heretofore issued in this matter; and for other good cause appearing for the making of the

within Order;

It is on this -~\_/~_day of /{;/, __ !_,\ __ , 2017,

#8991585.1 (163471.001)

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ORDERED that:

I. The Sheriff to whom execution was issued is hereby permitted to enter the

premises of Defendant, Ojas Patel, located at 20 Sassafras Court, N01ih Brunswick, New Jersey

(the "Premises"), to effect a complete levy upon the personalty, to take an inventory thereof

and to tag such personalty, and said Defendant is to permit said levy, and Plaintiff may proceed

with public venue thereof;

2. Defendant, Ojas Patel, shall cooperate and provide the Sheriff to whom

execution was issued full access to the Premises during regular business hours, Monday

through Friday, 9:00 a.m. to 5:00 p.m., on a convenient date and time for said Sheriff;

4. Defendant, Ojas Patel, is hereby restrained and enjoined from removing or

transferring any personalty contained within the Premises; and

5. A copy of this Order shall be served by Plaintiff upon Defendant, Ojas Patel, and the

Sheriff to whom execution was issued with ~1~1 id~a~~~~~E'::~~~~

J.S.C.

HON. ANDREA G. CAFffER, J.S.C.

2

#8991585.1 (163471.001)

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Leonard E. Seaman, Esq. (N.J. Bar No. 035021990) LAW OFFICES OF LEONARD E. SEAMAN 28 Lynnwood Road Edison, New Jersey 08820 732-902-8081 [email protected] Attorney for Plaintiff, Michael Patasso

J)

MAR 1 7 20'/7

Hon. Andrea G. Carier, J.S.C.

MICHAEL PATASSO SUPERIOR COURT OF NEW JERSEY LAW DIVISION:MIDDLESEX COUNTY

Plaintiff,

V.

DOCKET NO.: MID-L-7386-15

CNILACTION

ORDER PRECISE COLLISION AND RESTORATION L.L.C. L.L.C.; and GEORGE MORRISON

Defendants. ¥oENIED '

TIDS MATTER having been opened to the Court by Plaintiff Michael Patasso for an

Order determining the sufficiency of Defendants' responses to Plaintiffs Request for

Admissions and the Court having considered the moving papers, opposition, and arguments of

counsel, and for good cause shown,

IT IS this \ --1·\(r,_ } /', I} /"·-! i \ I day of . V \ V i \ V\ 2017

ORDERED that the facts set forth in Plaintiffs Request for Admissions are hereby

deemed to have been admitted and are conclusively established for the course of this litigation;

and,

IT IS FURTHER ORDERED that counsel for movant shall serve a copy of this order on

all parties within __ days of the online posting hereof.

~) J.S.C.

['-}-OPPOSED HON. ANDREA G. CARTER, J.S.C.

[] UNOPPOSED

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Thomas M. Crino, Esq. Wildenhain Crino PC 95 Mount Bethel Road Warren, NJ 07059 (908) 757-8936

'.

MAR 1 '/ .

Hon. il11rlu,n ,c;, Cmii,r, .J.S.C.

Attorneys for the Defendant, Verizon New Jersey, Inc., i/p/a Verizon NOHADIS QUILES and SAMUEL QUILES, I SUPERIOR COURT OF NEW JERSEY

I LAW DIVISION - MIDDLESEX COUNTY Plaintiffs I

vs.

FRANK CAPPA, NEW CONCEPTS LEASING, INC., THE IDEAL SUPPLY COMPANY, VERIZON, GEICO, JOHN DOES 1-10(names for fictitious individuals), ABC COMPANIES 1-10 (names for fictitious entities), AND ABC COMPANIES 11-20 (names for fictitious entities)

Defendants

I Docket No. MID-L-01380-16

ORDER EXTENDING DISCOVERY FOR NINETY (90) DAYS

l\/!U I iUI\I GRANTED

This matter being opened to the Court by the office of Wildenhain Crino, PC,

attorneys for defendants, Verizon New Jersey, Inc., for an Order Extending Discovery in

this matter for ninety (90) days, on notice to all counsel of record, and the Court having

reviewed the moving papers and supporting documents, and it appearing that the movant

is entitled to the relief sought;

\-·-·--, i- ~ / IT IS on this -~--day of _____ !c...('-("",_r'--1 ___ ,, 2017;

ORDERED, that

1. The Discovery End Date in this matter is hereby extended ninety (90) days

until July 20, 2017;

---------.. ,___ c111 parties are to be served within seven (7) days of the date hereof. '

---~

HON~N~. CARTER, J.S.C.

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Linda A. Olsen, Esq., 022261980 RONAN, TUZZIO & GIANNONE 4000 Route 66 One Hovchild Plaza, Suite 231 Tinton Falls, NJ 07753 (732) 922-3300

MAR 1 7 /Ort

Hon. /\ndnn C. Carll,r, ,J.S.C

Attorneys for Defendant-Third Party Plaintiff Bank of America, N.A., d/b/a Bank of America and Bank of America Financial Center

JULIE RIECKS,

Plaintiff,

vs.

BANK OF AMERICA and BANK OF AMERICA FINANCIAL CENTER, JOHN DOES 1-10, et al.

Defendants,

and

BANK OF AMERICA, N.A.,

Defendant-Third Party Plaintiff

vs.

CB RICHARD ELLIS, INC.,

Third Party Defendant.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY/ ·<j· DOCKET NO.: MID-L-5087-16 J/-(tl q

Civil Action /f(

ORDER DISMISSING PLAINTIFF'S COMPLAINT WITHOUT PREJUDICE

MOTION GRANTED

This matter having been brought on behalf of counsel for Defendant-Third Party

Plaintiff Bank of America, N.A seeking an Order Dismissing the Plaintiff's Complaint

without Prejudice Pursuant to Rule 4:23-5 (a)(1) and the Court having reviewed all

submissions regarding the application and for good cause shown,

and

IT IS on this ___ \~J~_'fl-__ day of March 2017,

ORDERED thatthe Complaint of Julie Riecks is hereby dismissen,,.,rthout prejudice; '\""", ·········· ~ll '-.. -·· . . ·-.,,.··'\

--- i

All parties are to be served within seven (7) days of the date hereof.

/

HON. ANDREA G. CARTER, J.S.C.

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I ·1· I' ... _;--' J L. U_~

LITVAK & TRJFIOLIS t,fAR 1 "J '.(,', 1 ·/1-l . -- ' { t! / i

By James J. Pieper, Esq. [State Bar No.: 012691994] 45 HORSEHILL ROAD I /011. /\ndrcn CL Cnr1er 1 ,,. " ' ' .,_ . ~ '. CEDAR KNOLLS, NJ 07927 (973) 359-0090 Our File No.: 50450.MCT A ttornevs for Defendant, Carlo Attisano, II

Devayne R. Rivera : SUPERIOR COURT OF NEW JERSEY LAW : DIVISION: MIDDLESEX COUNTY

Plaintiff(s), : DOCKETNO.: MID-L-448~ !jf_? :

vs. : :

Carlo Attisano, II, Allstate NJ Property & Casualty : Insurance, et al. :

: Defendants. ..

:

ORDER ~.~OTION GRANTED

THIS MATTER have been brought before the Court on motion of Litvak & Trifiolis,

attorneys for defendant Carlo Attisano, II, for an Order, pursuant to Rule 4:57-1 et. seq., permitting

Allstate Insurance Company to deposit its insurance policy limits of $15,000 into the Superior Court

of New Jersey, on behalf of said defendant, and for such further relief as is permitted under such

rules, and the Court having considered the matter and for good cause shown;

IT IS on this I day of , 2017

ORDERED that Allstate Insurance Company be and is hereby permitted to deposit its

insurance policy limits of $15,000 into the Superior Court of New Jersey, in accordance with Rules

4:57-1 et. seq., on behalf of defendant Carlo Attisano, II; and it is,

FURTHER ORDERED that such monies shall not be withdrawn or removed from the

Superior Court of New Jersey account, without further Order of this Court; and it is,

FURTHER ORDERED that prejudgment interest on any judgment which may be rendered

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against defendant Carlo Attisano, II shall be suspended from the date upon which such monies are

deposited into the Superior Court of New Jersey; and it is,

FURTHER ORDERED that a copy of this Order shall be ser."""""P

ANSWERS FILED WITH THE COURT:

( ) Answering Papers, (Affidavit, Brief)

( ) Notice of Motion

( ) Movant's Brief

( ) Reply Papers

( ) Movant's Brief

( ) Cross Motion

( ) Other

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ENZ7132219.l

Law Offices of Pamela D. Hargrove MARY LOU DENNIS-SUCKOW, ESQ. Identification No. 25871990 65 Jackson Drive, Suite 302 POBox2000 Cranford, NJ 07016-0200 Telephone: (908) 653-2188 Attorneys for Defendant(s): MICHAEL DRESDNER

BARBARA ROBERTS, an individual

Plaintiff

vs.

MICHAEL DRESDNER, an individual; EAN HOLDINGS, a business entity; JOHN DOES (1-5), Fictitiously named individuals; ABC COS (1-5), Fictitiously named business entities

Defendants

MAR 1 7 2017

I Ion. f1ndrea G. Carier, J.S.C.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-679-16

CMLACTION

ORDER TO EXTEND DISCOVERY TIME AND COMPEL DISCOVERY

MOTION GRANTED'i<

This matter being opened to the Court, on March 17, 2017, pursuant to Rule 1:6-2 and

Rule 1:6-3, and having been submitted for ruling on the papers by, Mary Lou Dennis-Suckow,

Esq., of the Law Offices of Pamela D. Hargrove attorney for the Defendant(s), MICHAEL

DRESDNER, for an Order to extend discovery time in accordance with Rule 4:24-l(c), and there

having been no opposition and gqod cause appearing;

It is on this __ \_-_7_'+_~ __ day of _______ , 2017, ORDERED that

discovery time be and hereby is extended to June 18, 2017 to allow time for the completion of

the deposition and independent medical examination of the plaintiff and any further discovery

that may be necessary;

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CASE NO. MID-L-679-16

=f'=ryrsfyRTHER ORD D\ that the plaintiffVs hereby n;:hfd to ~ear for/,

de(sftion on irch 29, 20 at 10:01 a.m. at~ffice tstat ·s & Leonarl!is(t.c.c\.J:::(i

fyfam Street, Edi on, NJ 837; J · 1

, ER D~at the lafn~iff is her c p~~l~peaffo},an-·

dependent meliic examination b Ma , 2017; \ "·

IT IS FURTHER ORDERED that a copy of this Order

parties within seven (7) days after the date it ~s sigaeih--­___-/

~--·-----.

J.S.C. HON. ANDREA G. CARTER, J.S.C.

MOTION WAS:

____ · NOT OPPOSED·

2

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WILLIAM RICIGLIANO, P.C. 418 Grand Street Paterson, NJ 07 505 (201) 342-7995 ATTORNEY FOR PLAINTIFF

KATARZYNA ROZLAZLY

Plaintiff,

v.

LUCJAN DYMEK and THOMAS EIPWOCZAN , ABC/XYZ CORP. and JANE DOE/ JOHN DOE(1-10)(said names being fictitious),

Defendants.

MAR 1 '! ;:OU

Hon. /\ndrea G. Carter, J.S.C.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO.: MID-L- 007087-16 /)

CIVIL ACTION )f ~ 'ti ORDER -f[

MOTION GRANTED

THIS MATTER having been brought before the Court by William Ricigliano, Esq. attorney for Plaintiff, for an Order entering Default against defendants, LUCJAN DYMEK and THOMAS EIPWOCZAN, for failure to file an Answer to the Summons and Complaint, and the Court having

considered the matter and good cause shown,

IT IS on this \ day of c{ r ( , 2017;

ORDERED, that default be entered against LUCJAN DYMEK and THOMAS EIPQOCZAN

pursuant to Rule 4:43-1; and it is further;

--.!J:~ 0

~~::at a conformed. copy of t~r be :..--1---on ~in seven (7) days of

p,p ~ 't "{ ------- --~~

___ opposed

___ unopposed

....... __ -....1.?=·c=·-------

HON. 1\NDREA G. CARTER, J.S.C.

4

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I i

MET-2419 SWEENEY & SHEEHAN, P.C. Peter P. Sanchez, Esquire Identification No. 015031994 Sentry Office Plaza

Ho11. /1ndrou Ci. CoriGr J ", (' J I ,\. ' /,

216 Haddon Avenue - Suite 500 Westmont, New Jersey 08108 (856) 869-5600 Attorneys for Defendants, Mark P. Goncalves and Dolores Vega

PATRICIA RUTHER and EDWARD RUTHER,

Plaintiffs, v.

MARK P. GONCALVES and DOLORES VEGA and NJM INSURANCE and ABC CORPS.,

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION-MIDDLESEX COUNTY DOCKETNO.: MID-L-3781-15

Civil Action

ORDER

1GRANTED THIS MATTER having been presented to the Court on the application of Sweeney &

Sheehan, attorneys for Defendants, Mark P. Goncalves and Dolores Vega, requesting an Order

compelling Plaintiff to produce her audio/video recording of the Independent Medical Exam with

Dr. Hausmann on February 14, 2017;

AND the Court having reviewed the moving papers, and for other good cause shown;

IT IS, on this \ day of I, , 2017, ORDERED that Plaintiff is compelled to

produce the audio/video of her IME with Dr. Hausmann on February 14, 2017, or, in the

alternative, Plaintiff is barred from use in any way of the audio/video recording of her IME with

Dr. Hausmann on February 14, 2017.

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

OPPDSED · '(d),l,l~b~ µ~~

iJ._T)_r ~l{t!cr-1. cJ~~ifi All parties are to oe served wrthrn seven (7) days of the date hereof.

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MET-2445 SWEENEY & SHEEHAN Sentry Office Plaza, Suite 500 216 Haddon A venue Westmont, New Jersey 08108 (856) 869-5600 Telephone (856) 869-5605 Facsimile Peter Sanchez, Esquire Attorney I.D. No.: 015031994

HAf~ l 'l . i I

Hon. i\ncl1·cn G. Curter\ ,.J.S.C.

Attorney for Defendants, Mark P. Goncalves and Dolores Vega

PATRICIA RUTHER and EDWARD RUTHER,

Plaintiffs, V.

MARK P. GONCAL YES and DOLORES VEGA and NJM INSURANCE and ABC CORPS.,

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION-MIDDLESEX COUNTY DOCKETNO.: MID-L-3781-15

Civil Action

ORDER

fv10TION GRANTl::D

THIS MATTER having been opened to the Comt on Motion of Sweeney & Sheehan,

attorneys for Defendants, Mark P. Goncalves and Dolores Vega, for a ruling on the papers

pursuant to R-1 :6-2, and the Court having considered the Certification in suppmt of said

Defendants' application, as well as any and all responding papers as set forth hereafter, and for

good cause shown:

1-~:i+h ', ·" '; IT IS, on this _\_;~day of /\M1rUA , 2017,

ORDERED that the depositions of plaintiffs, Patricia Ruther, Edward Ruther, Mark P.

Goncalves, and Dolores Vega are compelled to go forward on Monday, March 27, 2017 at I 0:00

a.m., as a date certain or suffer sanctions;

1-111 pari1es are to be served within seven (7) days of the date hereof.

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'}

lion. Andrea G. Carter, J.S.C .......

MARGOLIS EDELSTEIN Bruce E. Barrett, Esquire - 03 05 81982 100 Centmy Parkway, Suite 200 P. 0. Box 5084 Mt. Laurel, New Jersey 08054 856-727-6000 Attorneys for Plaintiffs

82406.6-0055/BEB/jlm

Plaintiffs,

ANGEL SANTIAGO, on behalf of himself and all others similarly situated

vs.

Defendants,

ARGIX DIRECT, INC. A/Kl A ARGIX LOGISTICS, INC.

) SUPERlOR COURT OF NEW JERSEY LAW DIVISION

) MIDDLESEX COUNTY

) Docket No. MID-L-6084-15

) CIVIL ACTION

) ORDER TO SUPPRESS THE ANSWER OF DEFENDANT WITH PREJUDICE

) MOTION GRANTED

This matter having been opened to the Cami by way of Motion by Bruce E. Barrett,

Esquire, of the law firm of Margolis Edelstein, attorneys for plaintiff.; and the Court having read

and considered the pleadings of counsel and for good cause shown;

IT IS on this ___ day of~,'--/1-"-v_1---'----'i-'-(---'---/-\'----------·' 2017, ORDERED that

the Answer of Defendant shall be and hereby is suppress with prejudice for failing to answer

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Plaintiffs First Set oflnterrogatories and failing to provide a response to Plaintiffs First Set of

Requests for Production of Documents.

IT IS FURTHER ORDERED that a copy of said Order shall be served upon defendant

with 1 f from the~~

( ) ,9pposed ( ,;y not opposed

HON. ANDREA G. CARTER, J.S.C.

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lr1~3 6",f 17/( 1-

Andrew R. Wolf, Esq. -NJ Attorney ID No. 018621995 THE WOLF LAW FIRM, LLC

f ·~·' d '1. 1520 U.S. Highway 130 - Suite 101 t~.,,

North Brunswick, NJ 08902 Tel. 732-545-7900; Fax 732-545-1030 MAR 1 '7 2iJil

Christopher J. McGinn, Esq. - NJ Attorney ID No. 40832001 THE LAW OFFICE OF CHRJSTOPHER J. McGINN

Hon. Andrea G. Carter, ,J.S.C.

20 Nassau St., Suite 250W-2 Princeton, NJ 08542 Tel. 732-937-9400; Fax 800-931-2408

Attorneys for Plaintiff and others similarly situated

KARINNE SEFER1AN, formerly known as Karinne Andrade, on behalf of herself and others similarly situated

Plaintiff,

vs.

JOHN J. CAMARDELLA, ENTERPRISE AUTO SALES CORP., d/b/a/ Enterprise Automotive Group, and DEPENDABLE CREDIT CORP.,

Defendants

SUPERIOR COURT OF NEW JERSEY MIDDLESEX COUNTY - LAW DIVISION

Civil Action:

Docket No.: MID-L-005333-15

ORDER GRANTING PRELIMINARY APPROVAL OF PROPOSED CLASS

ACTION SETTLEMENT; SETTING DATE FOR FINAL FAIRNESS HEARING; AND AUTHORIZING NOTICE OF PROPOSED

SETTLEMENT AND HEARING

MOTION GRANTED

THIS MATTER having been opened before the Court on a motion for preliminary

approval of the proposed Settlement Agreement between the parties, for provisional certification

of the Settlement Class, for appointment of Class Counsel and Class Representative, to schedule

a Final Fairness Hearing, and to authorize the parties to provide Notice of the proposed

settlement and Final Fairness Hearing to the Settlement Class Members;

THE PARTIES having been represented by their respective legal counsel; and

THE COURT having read and considered the Settlement Agreement and other papers

submitted jointly by counsel, having reviewed and considered the briefs and declarations

{OOOl9458;vl/ 1s-os11001 iPage 1 of 9

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submitted in support of the motion, the oral arguments of counsel presented to the Court, if any,

and all papers filed and proceedings had herein; and for good cause appearing;

THE COURT hereby finds as follows:

1. This litigation was commenced in this Court by Plaintiff, as a class action against

Defendants John J. Camardella, Enterprise Auto Sales Corp. d/b/a Enterprise Automotive Group

and Dependable Credit Corp.

2. For the purpose of settlement, a class action 1s an appropriate method for

resolving the disputes in this litigation.

3. The Court has jurisdiction over the subject matter of this matter and over all

parties hereto.

4. In the First Amended Complaint, Plaintiff alleges that Defendants violated the

Consumer Fraud Act ("CFA"), N.J.S.A. 56:8-2, et~, and the Truth-in-Consumer Contract,

Warranty and Notice Act ("TCCWNA"), N.J.S.A. 56: 12-14, et seq., with sales of motor vehicles

to Plaintiff and to the putative class when Defendants acted as a loan broker without the requisite

license; misrepresented the amount of the APR, finance charge, the amount financed and terms

of financing contracts; and charged an unlawful and deceptive Application/Inspection fees and

charged interest on those fees.

5. Defendants have denied any and all liability alleged in the Complaint and the First

Amended Complaint.

6. As a result of arm's-length negotiations and production of confirmatory discovery

provided by Defendants' counsel, the Pmties reached a settlement that provides, among other

relief, monetary relief and other relief to tl1e Settlement Class Members.

7. A copy of the executed Settlement Agreement is attached here as Exhibit A.

{OOOl9458;vl/ 15·051/00l}Page 2 of9

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8. The parties now request certification of the Settlement Class pursuant to R. 4:32-

1 (b )(3) and preliminary approval of the Settlement.

9. The Settlement Class defined below satisfies the prerequisites for class

certification under R. 4:32-1 in that:

a. the members of the Settlement Class, as defined below, are so numerous that joinder of all members is impracticable;

b. there are questions of law and fact common to the Settlement Class;

c. the claims of the Class Representative (appointed below) are typical of the claims of the Settlement Class;

d. the Class Representative fairly and adequately represents the interests of the Settlement Class and there are no conflicts of interest between the Class Representative and the Settlement Class;

e. questions of law and fact common to the Settlement Class predominate over any questions affecting only individual members of the Settlement Class; and

f. certification of the Settlement Class is superior to other available methods for the fair and efficient adjudication of this controversy.

10. For the pmpose of this settlement only, the requirements of R. 4:32-1 are

preliminarily deemed satisfied.

11. The Settlement Agreement provides, in part, for Defendants to:

a. Establish a common settlement fund of $475,0001, which will fund the recovery to certain members of the Settlement Class, the costs of settlement administration, an individual settlement and incentive award to the Named Plaintiff and the reasonable attomeys' fees and costs of Class Counsel. Defendants have also agreed to provide credits to the 34 closed accounts with negative balances as of January 22, 20172

1 The common settlement fund includes amounts that may be credited to a settlement class member and as provided for in paragraphs 3.A and 3.C of the Settlement Agreement between Plaintiffs and Defendants, signed by all parties on or about February 13, 2017. 2 If any of these 34 accounts is reduced to an amount greater than the recovery amount ( defined as 1.27 x the Ente1prise Automotive Group ("EAG") Application/Inspection fee paid on the

(OOOl9458;vl/ 15-051/00l)Page 3 of9

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Of this amount, subject to corui approval and the provisions of the Settlement, the common fund shall be apportioned as follows: (a) each settlement class member whose account was not closed with a negative balance as of January 22, 2017 and who is not excluded shall receive 1.27 x the EAG Application/Inspection fee paid on the relevant account, for a recovery amoru1t of$340,823.553

; (b) the Named Plaintiff shall receive $10,000 as an incentive award and to settle her various individual claims; and (c) the remainder of $123,675.25 shall be paid to the Settlement Administrator for fees and expenses to provide notice and distribute settlement awards and to Class Counsel for reasonable attorneys' fees and costs for time and expenses incun-ed to date and to implement the terms of the settlement;

b. Pay the costs of administration of the settlement and Notice to . the Settlement Class, as specified more fully in the Settlement Agreement;

c. Pay a cy pres award to tlie Legal Services of New Jersey in the amollllt of half of the funds remaining in the settlement fund due to U11Cashed or undeliverable checks and any other remaining funds. The other half of the funds remaining in the settlement fund shall be paid to Defendants in a manner of their choosing;

d. Agree to an injunction requiring that Defendants cease the complained of practices.

12. Plaintiff Karinne Seferian fairly and adequately represents and will protect the

interests of the Settlement Class.

13. The pmiies have agreed to the selection of A.B. Data, Ltd. as the Settlement

Administrator. A.B. Data is well qualified to serve in this capacity.

14. Pursuant to the Settlement Agreement, Defendant must provide Class Counsel

with the Settlement Class database and confirmatory discovery regarding the accuracy and

completeness of the list.

relevant accollllt), Defendants shall increase the Settlement Fund by a commensurate amollllt to allow such accounts to receive a full or partial payment. 3 This amount is subject to change pursuant to the terms of this Agreement.

(OOOI9458;vl/ 15-051/00I JPage 4 of 9

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15. The Court finds that the mailing of the variations of Settlement Class Notices

attached here as Exhibit B, C, and D in the manner set forth herein and the Settlement

Agreement is the best notice practicable under the circumstances, consistent with Due Process of

law, and constitutes due and sufficient notice of this Order to all persons entitled thereto and is in

full compliance with the requirements ofR. 4:32-1.

16. The proposed settlement, on the terms and conditions set forth in the Settlement

Agreement is fundamentally fair, reasonable, adequate and is in the best interests of the

Settlement Class Members, especially in light of the benefits achieved on behalf of them, the risk

and delay inherent in litigation, and the damages available under the CF A and the TCCWNA,

and, therefore

IT IS on this I 7 day of ---"/l--'-v1L..:' t:..Ll_L{_l:c../ _}_,.:__ _____ , 2017,

ORDERED as follows:

17. The motion for preliminary approval of the proposed class action settlement is

hereby GRANTED.

18. The parties shall comply with the schedule as set forth in this Order and according

to the terms of the Settlement Agreement.

19. Pursuant to R. 4:32-1 (b )(3), the following Settlement Class is hereby certified for

purposes of settlement:

Each consumer who on or after September 9, 2009, while a New Jersey resident, entered into a transaction to purchase a vehicle from a New Jersey dealer and: (a) signed a document the same or similar to the EAG "Amount Financed Breakdown Service Statement" attached to the Amended Complaint as Exhibit A; and/or (b) entered into a DCC loan contract the same as or similar to the form DCC loan contract used in the transaction with Plaintiff that included an EAG Application/Inspection fee in the "Amount Financed" section of the loan contract. Excluded from the Settlement Class are all persons who, as of February 8, 2017, have an address in DCC's business records of the primary or secondary

{OOOI9458;vl/ 1s-os110011Page 5 of9

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obligor on the relevant vehicle loan account was outside the State of New Jersey; who died prior to February 8, 2017; and/or had their debt to Defendants discharged in bankruptcy.

20. PlaintiffKarinne Seferian is hereby appointed as Class Representative.

21. A.B. Data, Ltd. is hereby appointed as the Settlement Administrator and shall be

responsible for administering the Settlement according to the terms set forth in the Settlement

Agreement and as Ordered herein;

22. Pursuant to R. 4:32-1, the Court hereby appoints Andrew R. Wolf, Henry P. Wolf

and Matthew S. Oorbeek of The Wolf Law Firm, LLC, and Christopher J. McGinn, Esq., of The

Law Office of Christopher J. Mc Ginn as Settlement Class Counsel.

23. No later than five (5) days after the entry of this Order, Defendants shall provide

the Settlement Administrator with the electronic list as provided by the Settlement Agreement.

24. The costs of administering the settlement, including but not limited to, printing

the Settlement Class Notice, updating the database and mailing the Settlement Class Notice and,

thereafter, issuing and mailing the settlement checks, shall be paid pursuant to the provisions of

the Settlement Agreement.

25. The Settlement Administrator shall cause the Settlement Class Notice in

substantially the same forms as Exhibits B, C, and D to be postmarked and mailed to all

Settlement Class members in accordance with the terms of the Settlement Agreement, no later

than twenty-one (21) days after the entry of this Order.

26. The Settlement Administrator shall comply with the provisions of the Settlement

Agreement.

27. Any Settlement Class Member may elect to be excluded from the settlement and

from the Settlement Class by excluding him/herself from the Settlement Class. A Settlement

Class Member who desires to exclude him/herself from the Settlement Class must submit a

(00019458;vl/ 1s-os110011Page 6 of9

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signed Request for Exclusion, including his/her name, address, and a statement that conveys that

the Settlement Class Member requests to be excluded from the Settlement Class in the Karinne

Seferian v. John J. Camardella, et al. class action settlement, to the Settlement Administrator at

the address set forth in the Settlement Class Notice such that the request is received by the I

after the date the Notices are mailed).

28. No later than seven (7) business days after the deadline for exclusions, the

Settlement Administrator shall file provide to all counsel a list of Settlement Class Members who

have timely requested exclusion as well as an affidavit to be filed with the Court setting forth

notice and exclusion statistics as described in the Settlement Agreement.

29. All those whose Requests for Exclusion are granted shall have no rights under the

Settlement Agreement and shall not be afforded any of the relief described in the Settlement

Agreement.

30. All Settlement Class Members who are not excluded from the Settlement Class

shall be bound by the terms of the Settlement Agreement and any and all judgments and Orders

entered by the Court in connection with the settlement, whether favorable or unfavorable to the

2017 at Sc<Ucm::' crn~,,__ ..... ___ · __ ;_::;i__. --·

undersigned in t~Superior Court of New Jersey, Middlesex County Courthouse, New

Brunswick, New Jersey, a Final Fairness Hearing shall be held before this Court on the proposed

settlement, including whether or not to:

a. grant final approval to the settlement as fair, reasonable, and adequate and issue an Order dismissing the Amended Complaint with prejudice;

b. approve the amount of reasonable attorneys' fees and costs to be awarded to Class Counsel; and

(OOOl9458;vl/ 1s-os11001 }Page 7 of 9

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c. approve the incentive award to Plaintiff.

This hearing may be adjourned from time to time without further or prior notice by oral

announcement by the Court or by written order.

32. Any Settlement Class Member may appear at the aforementioned Fairness

Hearing, in person or through counsel (at the Settlement Class Member's own expense), and be

heard in support of or in opposition to the fairness, reasonableness and adequacy of the proposed

settlement, award of counsel fees, reimbursement of costs, and Class Representative incentive

payment. However, no person shall be heard in opposition to the proposed settlement or the

award, and no paper or brief submitted by such person shall be received or considered by the

Court, unless such person has timely filed a written objection with the Court and has sent a copy

of that written objection to Class Counsel and Defendants' counsel in the manner set forth in the

Settlement Class Notice; and

33. In addition to any requirements set forth in the Settlement Class Notice, to be

effective, a written objection must contain:

a. the objector's name, address, and telephone number;

b. a statement of each objection made;

c. a description of the facts underlying each objection;

d. a description oflegal authorities underlying each objection;

e. a statement of whether the objector intends to appear at the Fairness Hearing;

f. a list of witnesses whom the objector may call to provide live testimony and the facts or opinions to which they will testify;

g. any oral deposition testimony or affidavit that will be presented during the Fairness Hearing; and

h. a list of exhibits which the objector may offer during the Fairness Hearing, along with copies of all of the exhibits.

(OOOI9458;vl/ 1s-os11001:Page 8 of9

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The written objection must be received by the Court, Class Counsel and Defendants' counsel on I

or before -"Jn t::u/f 4-:l-~ , 2017 (thi1ty-five (35) days after the date the Notices are

mailed). (J

34. Objections not conforming to the requirements set forth herein and in the

Settlement Class Notice may be stricken and not be considered or heard by this Court.

35. Any Settlement Class Member who excludes him/herself from the Settlement

Class cannot formally object to the terms of the settlement.

3 6. In the event that the Settlement Agreement is not approved by the Comt, or if

approval of the Settlement Agreement, including the entry of this Order or the Final Approval

Order and Judgment, is reversed or modified on appeal ( except for the modification of any

attorney's fee award), or any one of the conditions precedent set forth in the Settlement

Agreement is not met, then this Order and the Final Approval Order and Judgment, including,

but not limited to, the conditional class ce1tification entered to effectuate the Settlement

Agreement, and all findings of fact and conclusions of law therein, shall be automatically

dissolved ab initio and become null and void and of no force and effect, without further Order of

the Comt, and in such event all of Defendants' status quo ante rights to, among other things,

oppose any subsequent effmts by the Plaintiff to certify this action as a class action, and all other

defenses, rights, and positions shall in all respects be unaffected and preserved, as shall those

rights of Plaintiff and each of the Settlement Class Members; and it is

FURTHER ORDERED that a copyofthis Ord~sh!\ll~(!Servedupon all counsel of

record within seven (7) days hereQJ:'._... / ·· · ·· .~~····. .. -~~ .{.

0

• ~~)~ ~).

( ) 9pposed (0Unopposed

··r- .- . "' -~ ' . \ , .. >·-

HON. ANDREA G. CARTER, J.S.C.

(OOOI9458;vl/ 1s-os110011Page 9 of 9

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David M. Hawkins, Esq. Attorney ID No. 276821972

MAR l '1 .

PURCELL, MULCAHY, HAWKINS, & FLANAGAN, LLC One Pluckemin Way P.O. Box 754 Bedminster, NJ 07921 T: (908) 658-3800 Attorneys for Defendant, Emelinda Mendez Our File No: (637) 24371-H

SULIMAN SHONIBARE, a minor by his Guardian Ad Litem, OLUFEMI SHONIBARE, Individually,

Plaintiffs,

v.

EMELINDA MENDEZ,

Defendant.

SUPERJOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO: MID-L-782-16

CIVIL ACTION

ORDER

ivi i 10N GRANTED

THIS MATTER having been brought before the court by notice of motion by Purcell,

Mulcahy, Hawkins & Flanagan, LLC, attorneys for defendant, Emelinda Mendez, with the

consent of all parties, for an order extending the period for discovery, for good cause, pursuant to

R 4:24-l(c); and the court's having considered the moving papers of the parties and for good

cause shown;

IT IS on this day of , 2017;

ORDERED that the period for discovery be and hereby is extended ninety (90) days to,

June 24, 2017, to allow additional time to complete discovery; and it is further

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ORDERED that Discovery is to be completed as follows:

(a) All outstanding authorizations are to be furnished to defense counsel by March 27, 2017

(b) Plaintiffs expert reports are to be furnished to defense counsel by May 1, 2017;

(c) All defense expert reports are to be served on plaintiffs counsel by June 15, 2017;

(d) Depositions of experts are to be completed by June 24, 2017.

ORDERED that a copy of the within order be served upon all counsel within seven (7)

days of counsel's receipt hereof.

PAPERS CONSIDERED:

Notice of Motion Movant's Affidavits Movant's Brief

__ Answering Affidavits __ Answering Brief

Cross-Motion __ Movant's Reply

Other

<:~~~-2·-J.S.C.

HON. ANDREA G. CAHTER, J.S.C.

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11..MDUR, MAGGS & SHOR

Richard A. Amdur, Esq. - 204081961 AMOUR, MAGGS & SHOR, P.C. One Industrial Way West West Ridge - Building B Eatontown, New Jersey 07724 (732) 389-3800 Our File No. 6327

lfa it UAR i '"'I 'Vi1/ l'I • " / lU I

Hon. Andrea G. Carler, J.S.C.

c#Di2=J-

63/!7 /t=r

Attorneys for Defendant, Jersey Shore University Medical Center

MICHAEL SHORT, A MINOR BY HIS NATURAL GUARDIANS PETER SHORT: AND GAIL SHORT, AND PETER SHORT: AND GAIL SHORT, INDIVIDUALLY,

Plaintiffs,

vs.

SHRUTI JHAVERI, P.A.; NADER A. BAKHOS, M.D.; BARBARA CALAVETTA, P.A.; ARON M. GREEN, M.D.; SUNIL THACKER, M.D.; JOEL P. FECHISIN, M.D.; SEA VIEW ORTHOPEDIC AND MEDICAL ASSOCIATES; RIVERVIEW MEDICAL CENTER; JERSEY SHORE UNIVERSITY MEDICAL CENTER; JOHN DOES (BEING FICTITIOUS NAMES),·

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY DOCKETNO. MID-L-10786-14

Civil Action

ORDER

MOTION GRANTED

THIS MATTER having been opened to the Court upon application of Amdur, Maggs & Shor,

P.C., attorneys for defendant, Jersey Shore University Medical Center and the Court having

.e•oms,awACco•eoaArnw considered;the moving papers and any opposition thereto, in accordance with Rule I :6-2, and being COUNSEi.i.ORS AT I.AW

STATE HIGHWAY 35

INDUSTRIAi. WAY WEST

EATONTOWN, N.J. 07724

of the opinion that this motion should be granted, and for good cause shown;

IT IS ON THIS 1 ·7 DAY OF /--i (" ( ~ ;.,.{ \ \ , 2017;

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A.MDUR, MAGGS 8:: SHOR

A PROFESSIONAL CORPORATION

COUNSELLORS AT LAW

STATE HIGHWAY 35

INDUSTRIAL WAY WEST

EATONTOWN. N.J. on24

0 R D E R E D that, summary judgment be and hereby is granted in favor of defendant,

Jersey Shore University Medical Center, dismissing plaintiff's Complaint and any and all

Crossclaims with prejudice.

IT IS FURTHER ORDERED, that a copy of the within Order be served upon all counsel

within seven (7) days of the date hereof.

Papers Considered:

Notice of Motion

Mo~rant's Affidavits

Movant's Brief

__ Answering Affidavits

__ Answering Brief

Cross-Motion

__ Movant's Reply

Calendar Call Date: NONE

Trial Date:- NONE

~-~ J.S.C. HON. ANDREA G. CARTER, J.S.C.

. 1. bove motion, I finrl ii "Having rev1ewocl I ,e a , d is to be. meritorious on its faRce1 ~1:2 It

d pursuant to · · ' unoppose . · "' \ocl eG,;en\ial\y \or the there\ore will be \11""1 '· . • . 0 0 "

reasons set tor\\1 in \lie rnov·,ng popvro.

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.I

GOLD, ALBANESE & BARLETT!, LLC Filing Attorney: Kevin M. Eppinger - 019672008 48 South Street Morristown, New Jersey 07960 (973) 326-9099

r:~n ~fl LJ ~ .~.e:::, ~""' L-o·-'

lv'AP. 1 '"/ ;n l·L ,\ 1 ld::

Attorneys for Defendants/Third-Party Plaintiffs, Louis Beckerman & Company, Inc. d/b/a Beckerman & Company, LBMCO CORP. d/b/a Beckerman & Company, and Mark Toriello

SOUTH BRUNSWICK FURNITURE, INC., LINDEN FURNITURE, INC., WOODBRIDGE FURNITURE, INC., and WILLIAM SCHAFER,

Plaintiffs,

v.

ACRISURE, LLC d/b/a Beckerman & Company, , LOUIS BECKERMAN & COMP ANY, INC. d/b/a Beckerman & Company, LBMCO CORP. d/b/a Beckerman & Company, and MARK TORIELLO,

Defendants. AND

LOUIS BECKERMAN & COMP ANY, INC., d/b/a Beckerman & Company, LBMCO CORP. d/b/a Beckerman & Company, and MARK TORIELLO,

Third-Party Plaintiffs,

v.

WILENTZ, GOLDMAN & SPITZER, P.A., and GOLDSTEIN and BACHMAN, P.A.,

Third-Party Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY DOCKET NUMBER: MID-L-1090-15

CIVIL ACTION:

ORDER

:, DENIED

THIS :MATTER HA YING BEEN opened to the Court on Motion by the Law Offices of Gold,

Albanese & Barletti, counsel for Defendants/Third-Party Plaintiffs, Louis Beckerman & Company, Inc.

d/b/a Beckerman & Company, LBMCO CORP. d/b/a Beckerman & Company, and Mark Toriello;

Plaintiffs, South Brunswick Furniture, Inc., Linden Furniture, Inc., Woodbridge Furniture, Inc., and

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J

William Schafer, being represented by the Law Offices of Fox Rothschild LLP; Third-Party Defendant

Wilentz, Goldman & Spitzer, P.A., being represented by Wilentz, Goldman & Spitzer, P.A.; Third-Party

Defendant Goldstein & Bachman, P.A., being represented by Zarwin, Baum, DeVito, Kaplan, Schaer,

Toddy, P.C.; and the Court having read and considered the moving papers that were submitted pursuant to

the provisions of R. l :6-2( d); and the Court having read the considered any opposition papers submitted

pursuant to the provisions of R. l :6-3; and the Court having been satisfied that good cause has been

sufficiently established for the entry of the within Order;

ITIS ON THIS 11 t"- DAY OF /~l c/ ,~( h , 2017,

ORDERED: that the Court has reconsidered the February 3, 2017 Orde ismissing the Third-

Party Complaint as to Third-Party Defendant Wilentz, Goldman & Spitze .A., pursuant to R. 4:6-2(e);

and it is further

ORDERED: that the Court has reconsidered e February 3, 2017 Order dismissing the Third­

Party Complaint as to Third-Party Defendant Go stein & Bachman, P.A., pursuant to R. 4:6-2(e); and it is

further

ORDERED: that Third arty Defendant, Wilentz, Goldman & Spitzer, P.A shall serve an Answer

to the Third-Party Compla" t within ____ days; and it is further

ORDE D: that Third-Party Defendant, Goldstein and Bachman, P.A., shall serve an Answer to

'ilieThlffi- yCmnpl,fotwilhin +&~"'=- -:r--~ ~}ltM.fv ~~ (JV • ~ -

~~~_;,~-v.?~.~~-Allpart1esaretobeservedw1thin 11.tf /J:..J·"?~ j,'1--/ HON.ANDREAG.CARTc:R,J.S.C0

seven (7) days of the date hereof. (/tf '/>· p rv'. MJ;o) . ·

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RAJAN & RAJAN, LLP Oscar A. Escobar, Jr., Esq. I Jordan B. Dascal, Esq. NJ ID Nos: 007072003 / 903842012 iU 3146 Route 27, Suite 202 MAR .;,t. J . I

i Kendall Park, NJ 08824 Telephone: (732) 283-1955 Facsimile: (732) 283-1877

Hon. Andrea G. Carter, lJ.S.C.

Attorney for Plaintiff, Spectra Group, Inc. and Third-Party Defendant, Aditya Narra.

SPECTRA GROUP, INC., SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

Plaintiff, DOCKET NO.: MID-L-6186-16

vs.

JOTISH PILLAI, et al.

CIVIL ACTION

ORDER

Defendants. ~/lOTION GRANTED

THIS MATTER having been brought to the Court by Spectra Group, Inc. ("Plaintiff')

through counsel, Jordan B. Dascal, Esq. of Rajan & Rajan, LLP and upon notice to Jotish Pillai

and Magnum Associates, LLC ("Defendants") by and through counsel, Sabina Dhillon, Esq.,

Law Firm of Sabina Dhillion, LLC; and Aditya Narra, Third-Party Defendant, by and through

counsel, Lowell Miller, Esq., Miller & Borgen; and the Court having read the papers submitted

and having heard oral argument, if any, and for further good cause having been shown,

1,1"- iA I IT IS on this _Ll_day of /Vla((i,.,, 2017;

ORDERED:

1. Plaintiffs discovery motion is GRANTED.

2. Defendants are compelled to produce comprehensive discovery responses to

Plaintiffs requests for documents within 20 days of being served with a copy of this order,

Page 1 of2

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pursuant to R. 4:23-5.

3. Defendants' counterclaims and third-party complaint is dismissed without

prejudice, and Defendants' answer is suppressed without prejudice, pursuant to R. 4:23-5.

4. A copy of this Order shall be served by the moving party upon all other parties or

their attorneys, if any, within 7 days of receipt of this Order.by~heITio~ngp~~

~--- ~~ \ "~J ~ ~ _l,SJk --·---------·

HON. ANDREA G. CARTER, J.S.C.

( )Oyposed (c}Unopposed

Page 2 of2

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ANGLIN, REA & CAHALANE, P.A. Attorney for Plaintiff(s) 1005 Eastpark Boulevard r' \ .. Cranbury, NJ 08512 ( 609)409-0444

ELIAS TABET, Plaintiff(s)

vs. MARK P. GIUBILATO, JR., MARI(: GIUBILATO, and/or JOHN/JANE DOES 1-10 and ABC CORP. 1-10

Defendant(s)

:rED HAI~ 1 ? . 1 /

SUPERIOR COURT OF NEW JERSEY LAW DIVISION

MIDDLESEX COUNTY

Docket No. MID-L-3579-16

GRANniti1)

THIS MATTER being presented to the Court upon Notice of Motion duly filed and served

pursuant to Rule 1 :6-2 by Patrick H. Cahalane, Esq., Anglin, Rea & Cahalane, P.A., attorneys for

plaintiff, and the Court having considered the pleadings submitted herein, and no one appearing in

opposition hereto, and for good cause shown;

IT IS on this~~ day of ____ L_. 2017 ORDERED that plaintiff be permitted to effect

service of the Smnmons and Complaint on the defendant, Mark P. Giubilato, Jr., by serving the

Smnmons and Complaint on the said defendant's insurance company: The Hartford/Trumbull

Insurance Company, P.O. Box 14263, Lexington, KY 40512, under Claim No. PA16033249, via

certified mail, return receipt requested.

1\\1 pames are to be served within seven (7) days of the date hereof.

PAPERS CONSIDERED: { } Notice of Motion { } Movant's Affidavits { } Answering Affi davits { } Cross Motion { } Movant's Reply { } Other __ _

J.S.C.

HON. ANDREA G. CARTER, J.S.C.

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RITA F. BARONE, Esq. Attorney ID No. 038211995

1.1: /1 r~,~. 1 1-; · , ru _ ,

PURCELL, MULCAHY, HAWKINS & FLANAGAN LLC One Pluckemin Way P.O. Box 754 Bedminster, NJ 07921 T: (908) 658-3800 Attorneys for Defendant, William Reyes, Jr. Our File No: (637) 24335-RFB

LUISA M. VIERA-CHAU AND JOSE CHAU,

' ' ' Plaintiffs, !

v. ' ' '

WILLIAM REYES, AND "JOHN DOE" 1 THROUGH 10 A FICTITIOUS : NAME, TRUE NAME BEING i UNKNOWN :

' ' Defendants. !

' '

SUPERlOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO: MID-L-781-16 c{i) CIVIL ACTION '

ORDER

DENIED

THIS MATTER'S having been brought before the court by notice of motion by Purcell,

Mulcahy, Hawkins & Flanagan LLC, attorneys for defendant, William Reyes, Jr., for an order in

aid of litigant's rights, pursuant to R.1:10-3.; and the court's having considered the moving

papers of the parties, and for good cause shown;

IT IS on this day of /111 C? ,CI, , 2017;

ORDERED that an authorized representative of respondent, Essex Neurological

Associates, shall appear on ________ ,, 2017 at a.m./p.m. at the Middlesex

County Courthouse, and there show cause why the court should not impose some penalty or

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sanction, including but not limited to an order holding the respondent in contempt of court,

imposing a fine, or taking other action; and it is further

ORDERED that should an authorized representative of respondent, Essex Neurological '

Associates, fail to appear on the date indicated above, a warrant may be issued for his/her arrest,

and he/she may be brought before the court, under arrest, detained by a sheriff's officer or other

officer of the law, and brought to the Middlesex County detention facility or some other facility

and held until he/she may be brought before a judge of the Superior Court of New Jersey; and it

is further

ORDERED that this order be served personally on an authorized representative of

respondent, Essex Neurological Assoc;iates, at his/her office located at 81 Northfield Ave., Suite

301, West Orange, New Jersey,by having the order delivered to him/her personally or, should . .

he/she fail to come to the i;eception area at the request of the process server, by leaving a copy of /~

this order with his/h/secretary/assistant, by no later than 2017; and it is

/ further

ORDERED th. at a copy of thi~er b. e served upon all counsel within . p j

""L I,. ' f211/J:IJ,_~ .!Ji -rr~ ·~ Vco~rdceiptil-ui {)

7 days of

) /

J. S. C.

( ) opposed (~nopposed

HON. ANDREA G. CARTER, J.S.C.

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RITA F. BARONE, Esq. Attorney ID No. 038211995

i i ~~' ,·_,--l~i

I.' R , '"' . '' ' ··u-\,\ 1 1 L·.J 1;

PURCELL, MULCAHY, HAWKINS & FLANAGAN LLC One Pluckemin Way P.O. Box 754 Bedminster, NJ 07921 T: (908) 658-3800 Attorneys for Defendant, William Reyes, Jr. Our File No: (637) 24335-RFB

LUISA M. VIERA-CHAU AND JOSE CHAU,

Plaintiffs, !

v. ' ' ' ' ' ' '

WILLIAM REYES, AND "JOHN : DOE" 1 THROUGH 10 A FICTITIOUS 1

NAME, TRUE NAME BEING 1

UNKNOWN : ' ' '

Defendants. ! ' '

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO: MID-L-781_;;; t() t/ CIVIL ACTION /

ORDER

DENIED

TIDS MATTER'S having been brought before the court by notice of motion by Purcell,

Mulcahy, Hawkins & Flanagan LLC, attorneys for defendant, William Reyes, Jr., for an order in

aid of litigant's rights, pursuant to R.1: 10-3.; and the court's having considered the moving

papers of the parties, and for good cause shown;

IT IS on this day of , 2017;

ORDERED that an authorized representative of respondent, Atlantic Medical Imaging

Group, LLC, shall appear on ________ , 2017 at _ a.m./p.m. at the Middlesex

County Courthouse, an~re show cause why the court should not impose some penalty or

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sanction, including but not limited to an order holding the respondent in contempt of court,

imposing a fine, or taking other action; and it is further

ORDERED that should an authorized representative of respondent, Atlantic Medical

Imaging Group, LLC, fail to appear on the date indicated above, a warrant may be issued for

his/her arrest, and he/she may be brought before the court, under arrest, detained by a sheriffs

officer or other officer of the law, and brought to the Middlesex County detention facility or

some other facility and held until he/she may be brought before a judge of the Superior Court of

New Jersey; and it is further

ORDERED that this order be served personally on an authorized representative of

respondent, Atlantic Medical Imaging Group, LLC, at his/her place of business, 110 S. Jefferson /

Rd., Suite 201, Whippany(New Jersey, by having the order delivered to him/her personally or, //

should he/she fa~ come to the rec.eption area at the request of the process server, by leaving a

copy of this order with his/her secretary/assistant, by no later than ______ 2017; and it

/

is wther

7 days of

J. S. C. ( ) opposed ( vf unopposed

HON. ANDREA G. CARTER, J.S.C.

/.10~

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,.

Heather R. Boshak (NJ Bar ID No. 052721994) Asad Rizvi (NJ Bar ID No. 022602010) FOX ROTHSCHILD LLP

MAR 1 7 Lili/

Hon. Andrea G. CwtN, ,JHG.

FORMED IN THE COMMONWEALTH OF PENNSYLVANIA

Attorneys for Defendants Robert Wood Johnson University Hospital, Michael Olesinski, Stanley Romanowski, Jared Lorenzana, Larry Patton, and Ed Fay 49 Market Street Morristown, NJ 07960-5122 Tele: 973.992.4800 Fax: 973.992.9125

LA WREN CE WALKER,

Plaintiff,

V.

ROBERT WOOD JOHNSON UNIVERSITY HOSPITAL, MICHAEL OLESINSK.l, STANLEY ROMANOWSKI, JARED LORENZANA, LARRY PATTON, ED FA YE, and JOHN DOES 1-5,

Defendants.

I SUPERIOR COURT OF NEW JERSEY I LAW DIVISION: MIDDLESEX COUNTY

I DOCKET NO. MID-L-03782-15 ft. tY1 ! Civil Action /J{

I ORDER EXTENDING DISCOVERY

~/IOTION GRANTED

THIS MATTER having been opened to the Court by Fox Rothschild LLP, attorneys for

Defendants Robert Wood Johnson University Hospital ("RWJUH"), Michael Olesinski, Stanley

Romanowski, Jared Lorenzana, Larry Patton, and Ed Fay (collectively hereinafter, the

"Defendants"), upon the consent of counsel for Plaintiff Lawrence Walker, seeking an Order

extending the discovery period, and the Court having reviewed the papers submitted, and for

good cause shown;

IT IS on this ---~day of March 2017;

ORDERED:

1. That the discovery end-date hereby is and shall be extended to and including July

10, 2017;

44555625

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2. Discovery shall be extended to allow the parties to complete written discovery,

party depositions, pursue third-party discovery and to complete any expert discovery;

3. All written discovery shall be concluded by May 10, 2017;

4. All depositions of parties and fact witnesses shall be concluded by June 9, 2017;

5. All third party discovery shall be concluded by June 9, 2017;

6. Plaintiffs expe1t reports shall be served no later than April 15, 2017;

7. Defendants' expert reports shall be served no later than June 1, 2017;

8. Depositions of experts shall be concluded no later than July 10, 2017; and

9. That a copy of this Order shall be served on all parties within seven (7) days of

receipt thereof.

44555625

SO ORDERED_'._ er-· ·:=:=~~~==~~~~ Hon. Andrea . arter, J.S.C.

2

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Nathaniel M. Davis, Esq. 972 Broad Street gth Floor Newark, NJ 07102 (973) 792-9005 Attorney for the Plaintiff, Alonzo Williams

ALONZO WILLIAMS

vii.

Plaintiff(s)

HAYLEYPAGLIARO, RALLY TRUCKING INC., SAD EEK I ALI, CLAUDIA TORRES-SUESCUN, JOHN DOE 1-5 (Names being fictitious), and ABC: CORP.1-3 (Names being fictitious)

I 'AR . . .. ,., ,/, l'i"''" ,•! t ' !'..,\.-1[/

Hon. /-rndrea G. Carter, J.S.C.

: SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY DOCKETNO.: MID-L-1479-16

Civil Action

ORDER

DENIED _________ D_e_fe_nd_an_t_cs_) __________ ri~/_{)_fi_V~

THIS MATTER having been opened to the Court by Nathaniel M. Davis, attorney for the

plaintiff, Amelia Bronson, for an Order to Re-Instate the Complaint and Allow for an

Amendment of the Complaint, and the Court having considered the papers in support of and in

opposition to, if any, and for good cause having been shown;

rt is on this 1

11-- h day of ./i11 a r C ~ , 2011·

ORDERED, that the plaintiffs complaint is hereby 1!in~endants, Rally

-~ Trucking and Sadeek I Ali; and it is further ----

. ~

ORDERED, that plai]J.tiffs~ld be allowed to Amend the Complaint; and it is further

ORD~op)'. of this Order shall be served upon counsel/parties of

~~:r.~F~ .... --~ 3=· 1,·'· ,,~ . -

,--.--,,,,~~,- ---- , (v'· A fl"1! ~1_·,·,- HON. ANDREA G. CARTER, J.S.C.

~ ~'~::. U~-~)~~-tJ>~S=-~--~-~--~!

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CALLEGHER, MENSCHING & CARRO BY: JEFFREYS. MARTIN/Bar Number: 11972008 343 Thorn all Street, Suite 500 Edison, NJ 08837 (732) 623-7200 Attorneys for Defendants Chirag Patel and Jayantib H.S. Patel 16-415708 LIDIA WOCLAW ANDRAFAL WOCLAW, HER HUSBAND

v.

Plaintiff

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY

HAR 1? . ii

CHIRAG J. PATEL, JAYANTIB H.S. PATEL, JOHN DOES 1-15 (FICTITIOUS INDIVIDUALS) AND ABC CORPORATIONS 1-15 (FICTITIOUS CORPORATIONS)

DOCKET NO.: MID-L-1288-16

CIVIL ACTION

ORDER TO EXTEND DISCOVERY

Defendant MOTION GRANTED

This matter having been brought before tbe Court by tbe Callegher, Mensching & Carro, attorneys for

Defendants, and upon notice to all counsel of record, for an Order extending discovery, and tbe Court

having considered the moving papers, and the opposing papers, if any, and for good cause shown;

within

ORDERED tbat discovery is hereby extended to July 31, 2017; and

IT IS FURTHER ORDERED that:

Plaintiff serve medical expert reports by June 15, 2017;

Defendant's medical examination of Plaintiff occur by June 30, 2017;

Defendant serve medical expert reports by July 30, 2017;

All other discovery be completed by July 31, 2017; and

---

Opposed __ Y N HOf\!. t1r-J[)REA G. CARTER. J.S.C.