It is currently Sat Apr 04, 2020 5:03 pm

All times are UTC




Post new topic Reply to topic  [ 1 post ] 
Author Message
PostPosted: Sun Jan 21, 2007 5:07 am 
Offline
Site Admin

Joined: Fri Jul 14, 2006 6:19 am
Posts: 1687
Russell v. Standard Federal Bank
Not Reported in F.Supp.2d, 2002 WL 1480808
E.D.Mich.,2002.
June 19, 2002

OPINION AND ORDER


ZATKOFF, Chief District J.


I. INTRODUCTION

*1 This matter is before the Court on Plaintiff's Motion for Summary Judgment on the Merits of Count-II, and Count-III, of the Amended-Complaint, Pursuant to FED. R. CIV. P. 56(a). Defendants Trott & Trott, P.C., namely David A. Trott, and Kathleen H. Trott, et al., filed a timely response. Plaintiff did not file a reply. In addition, Plaintiff filed a Motion to Consolidate Civil Actions Case No. 02-70054 /and/ Case No. 00-74811, and a Motion to/Vacate Order Dismissing Plaintiff's State Law Claims, Pursuant to FED. R. CIV. P. 60(b). Defendants Trott & Trott, P.C., namely David A. Trott, and Kathleen H. Trott, et al., filed a timely response, and Plaintiff filed a timely reply. The Court finds that the parties have adequately set forth the relevant law and facts, and that oral argument would not aid in the disposition of the instant motions. See E.D. MICH. L.R. 7.1(e)(2). Accordingly, the Court ORDERS that the motion be decided on the briefs submitted. For the reasons stated below, Plaintiff's Motion for Summary Judgment on the Merits of Count-II, and Count-III, of the Amended-Complaint, Pursuant to FED. R. CIV. P. 56(a), is DENIED. Pursuant to Fed.R.Civ.P. 12, the Court shall DISMISS Count II and Count III of Plaintiff's complaint. Plaintiff's Motion to Consolidate Civil Actions Case No. 02-70054 /and/ Case No. 00-74811 is DENIED, and Plaintiff's Motion to/Vacate Order Dismissing Plaintiff's State Law Claims, Pursuant to FED. R. CIV. P. 60(b) is DENIED.



II. BACKGROUND

Plaintiff filed an amended complaint on January 14, 2002, and alleged the following four counts: Intentional Breach of Contract Under Covenant 14. “Noticeâ€

_________________
David Szwak
Chairman, Consumer Protection Section, Louisiana State Bar Association
Bodenheimer, Jones & Szwak
509 Market Street, 7th Floor
Mid South Tower
Shreveport, Louisiana 71101
318-221-6444
Fax 318-221-6555


Top
 Profile  
 
Display posts from previous:  Sort by  
Post new topic Reply to topic  [ 1 post ] 

All times are UTC


Who is online

Users browsing this forum: No registered users and 1 guest


You cannot post new topics in this forum
You cannot reply to topics in this forum
You cannot edit your posts in this forum
You cannot delete your posts in this forum
You cannot post attachments in this forum

Search for:
Jump to:  
cron
Powered by phpBB® Forum Software © phpBB Group