• All Courts
  • Federal Courts
  • Bankruptcies
  • PTAB
  • ITC
Track Search
Export
Download All
39 results

Bengel v. Continental Aktiengesellschaft et al.

Docket 5:24-cv-00363, Ohio Northern District Court (Feb. 27, 2024)
Chief District Judge Sara Lioi, presiding
Anti-Trust
DivisionAkron
FlagsCat02, Knapp, Termed
Demand$1,000,000
Cause15:1 Antitrust Litigation
Case Type410 Anti-Trust
Tags410 Anti-Trust, 410 Anti-Trust
Plaintiff John Bengel
Defendant Continental Aktiengesellschaft
Defendant Continental Tire The Americas, LLC
...
cite Cite Docket

No. 21 Transfer Order by the Judicial Panel on Multidistrict Litigation

Document Bengel v. Continental Aktiengesellschaft et al., 5:24-cv-00363, No. 21 (N.D.Ohio Jun. 7, 2024)
On the basis of the papers filed and the hearing session held, we find that the actions listed on Schedule A involve common questions of fact, and that centralization in the Northern District of Ohio will serve the convenience of the parties and witnesses and promote the just and efficient conduct of this litigation.
These actions share factual questions arising from an alleged price- fixing conspiracy among manufacturers of new replacement tires for passenger cars, vans, trucks, * One or more Panel members who could be members of the putative classes in this litigation have renounced their participation in these classes and have participated in this decision.
All actions propose overlapping putative classes of direct and indirect purchasers of new replacement tires.
Centralization will eliminate duplicative discovery, which will be international in scope; prevent inconsistent pretrial rulings, particularly as to class certification; and conserve the resources of the parties, their counsel, and the judiciary.
Karen K. Caldwell Chair Nathaniel M. Gorton David C. Norton Dale A. Kimball Matthew F. Kennelly Roger T. Benitez Madeline Cox Arleo
cite Cite Document

No. 19 Joint Motion for extension of time until June 24, 2024 to respond to complaint filed by Defendant ...

Document Bengel v. Continental Aktiengesellschaft et al., 5:24-cv-00363, No. 19 (N.D.Ohio May. 30, 2024)
Motion to Extend Time
Plaintiff filed a Return of Service of Summons as to Michelin North America, Inc. on April 17, 2024.
Plaintiff filed a Return of Service of Summons as to Continental Tire the Americas, LLC on April 18, 2024.
Plaintiff filed a Return of Service of Summons as to The Goodyear Tire & Rubber Company on April 30, 2024.
Oral argument on the Sampayan Plaintiff’s motion to transfer is scheduled to take place before the JPML in Salt Lake City, Utah on May 30, 2024.
Nothing in this Joint Motion shall be construed as a waiver of any of Defendants’ rights or positions in law or in equity, or as a waiver of any defenses that Defendants would otherwise have, including, without limitation, defenses based on insufficient service of process, lack of personal jurisdiction or inconvenient forum.
cite Cite Document

No. 10 Motion for attorney Nicole A. Veno to Appear Pro Hac Vice

Document Bengel v. Continental Aktiengesellschaft et al., 5:24-cv-00363, No. 10 (N.D.Ohio Mar. 12, 2024)
Motion to Appear Pro Hac Vice
Pursuant to N.D. Ohio Local Rule 83.5(h), Plaintiff John (Jack) Bengel respectfully moves this Honorable Court to permit Nicole A. Veno (New York Bar No. 5144340, date of admission May 20, 2013) for admission pro hac vice in this case.
In compliance with Local Rule 83.5(h), Plaintiff attaches hereto as Exhibit A the Declaration of Nicole A. Veno, affirming that she has no disbarments or any administrative actions that are or have been pending against her license or ability to practice law.
Movant represents that Nicole A. Veno is a member in good standing in each of the courts in which she is admitted, including the State of New York, for which a certificate of good standing is attached as Exhibit B.
PageID #: 154 Nicole A. Veno is a senior associate with the law firm of Lowey Dannenberg, P.C., located at 44 South Broadway, Suite 1100, White Plains, New York 10601.
Plaintiff respectfully requests that Nicole A. Veno be admitted to this Court pro hac vice.
cite Cite Document

No. 7 Motion for attorney Claire Noelle Forde to Appear Pro Hac Vice

Document Bengel v. Continental Aktiengesellschaft et al., 5:24-cv-00363, No. 7 (N.D.Ohio Mar. 12, 2024)
Motion to Appear Pro Hac Vice
Pursuant to N.D. Ohio Local Rule 83.5(h), Plaintiff John (Jack) Bengel respectfully moves this Honorable Court to permit Claire Noelle Forde (New York Bar No. 5507587, date of admission May 22, 2017) for admission pro hac vice in this case.
In compliance with Local Rule 83.5(h), Plaintiff attaches hereto as Exhibit A the Declaration of Claire Noelle Forde, affirming that she has no disbarments or any administrative actions that are or have been pending against her license or ability to practice law.
Movant represents that Claire Noelle Forde is a member in good standing in each of the courts in which she is admitted, including the State of New York, for which a certificate of good standing is attached as Exhibit B.
PageID #: 130 Claire Noelle Forde is an associate with the law firm of Lowey Dannenberg, P.C., located at 44 South Broadway, Suite 1100, White Plains, New York 10601.
Plaintiff respectfully requests that Claire Noelle Forde be admitted to this Court pro hac vice.
cite Cite Document

No. 8 Motion for attorney Raymond Girnys to Appear Pro Hac Vice

Document Bengel v. Continental Aktiengesellschaft et al., 5:24-cv-00363, No. 8 (N.D.Ohio Mar. 12, 2024)
Motion to Appear Pro Hac Vice
Pursuant to N.D. Ohio Local Rule 83.5(h), Plaintiff John (Jack) Bengel respectfully moves this Honorable Court to permit Raymond Girnys (New York Bar No. 4990396, date of admission February 15, 2012) for admission pro hac vice in this case.
In compliance with Local Rule 83.5(h), Plaintiff attaches hereto as Exhibit A the Declaration of Raymond Girnys, affirming that he has no disbarments or any administrative actions that are or have been pending against his license or ability to practice law.
Movant represents that Raymond Girnys is a member in good standing in each of the courts in which he is admitted, including the State of New York, for which a certificate of good standing is attached as Exhibit B.
PageID #: 138 Raymond Girnys is a partner with the law firm of Lowey Dannenberg, P.C., located at 44 South Broadway, Suite 1100, White Plains, New York 10601.
Plaintiff respectfully requests that Raymond Girnys be admitted to this Court pro hac vice.
cite Cite Document

No. 6

Document Bengel v. Continental Aktiengesellschaft et al., 5:24-cv-00363, No. 6 (N.D.Ohio Mar. 12, 2024)

cite Cite Document

No. 9

Document Bengel v. Continental Aktiengesellschaft et al., 5:24-cv-00363, No. 9 (N.D.Ohio Mar. 12, 2024)

cite Cite Document
1 2 3 4 >>