Court: | cacd |
Docket #: | 2:12-cv-09124 |
Case Name: | Tom Cruise v. Bauer Publishing Company L P et al |
PACER case #: | 545913 |
Date filed: | 2012-10-24 |
Date terminated: | 2013-12-20 |
Date of last filing: | 2013-12-26 |
Assigned to: | Judge Dean D. Pregerson |
Referred to: | Magistrate Judge Jacqueline Chooljian |
Case Cause: | 28:1332 Diversity-Libel,Assault,Slander |
Nature of Suit: | 320 Assault Libel & Slander |
Jury Demand: | Plaintiff |
Jurisdiction: | Diversity |
Represented Party | Attorney & Contact Info |
Tom Cruise Plaintiff |
Aaron J Moss Bertram Harris Fields |
Bauer Publishing Company L P Defendant |
Deborah A Adler Elizabeth A McNamara Alonzo B Wickers , IV |
Bauer Magazine L P Defendant |
Deborah A Adler Elizabeth A McNamara Alonzo B Wickers , IV |
Bauer Media Group Inc Defendant |
Deborah A Adler Elizabeth A McNamara Alonzo B Wickers , IV |
Bauer Inc Defendant |
Deborah A Adler Elizabeth A McNamara Alonzo B Wickers , IV |
Heinrich Bauer North America Inc Defendant |
Deborah A Adler Elizabeth A McNamara Alonzo B Wickers , IV |
Does Defendant 1-10 inclusive |
|
Bauer Magazine L P Defendant |
Deborah A Adler Elizabeth A McNamara Alonzo B Wickers , IV |
Bauer Magazine L P Defendant |
Deborah A Adler Elizabeth A McNamara Alonzo B Wickers , IV |
Date Filed | Document # | Attachment # | Short Description | Long Description | Upload date | SHA1 hash |
2012-10-24 | 1 | 0 | Complaint - (Discovery) | COMPLAINT against Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Does 1-10, inclusive, Heinrich Bauer North America Inc.Case assigned to Judge Dean D. Pregerson for all further proceedings. Discovery referred to Magistrate Judge Jacqueline Chooljian.(Filing fee $ 350:PAID) Jury Demanded., filed by plaintiff Tom Cruise.(ghap) (Additional attachment(s) added on 10/25/2012: # 1 Part 2, # 2 Ntc of Asgmt) (mg). (Entered: 10/24/2012) | ||
1 | 1 | Part 2 | ||||
1 | 2 | Ntc of Asgmt | ||||
2012-10-24 | 2 | 0 | Certificate/Notice of Interested Parties | CERTIFICATE of Interested Parties filed by Plaintiff Tom Cruise. (ghap) (mg). (Entered: 10/24/2012) | ||
2012-10-24 | 3 | 0 | Notice to Parties of Court-Directed ADR Program (ADR-8) - optional html form | NOTICE TO PARTIES OF COURT-DIRECTED ADR PROGRAM filed.(ghap) (Entered: 10/24/2012) | ||
2012-10-26 | 4 | 0 | Minutes of In Chambers Order/Directive - no proceeding held | MINUTES OF IN CHAMBERS ORDER held before Judge Dean D. Pregerson: This action has been assigned to the calendar of Judge Dean D Pregerson. Counsel are referred to the courts website for additional information. It is not necessary to clear motion date with court clerk prior to filing the motion. Court hears motions only on Mondays at 10:00 AM. The Court requires two non-blue backed courtesy copies of only the following manual and electronic filed documents: (1) All noticed motions and related documents; and (2) All ex parte applications and related documents (3) all exhibits and attachments must be separately tabbed. [Refer to the Court's General Order No. 10-07 regarding ECF Courtesy Paper Copies and re location of Chambers Email address] (lc) (Entered: 10/26/2012) | ||
2012-10-31 | 5 | 0 | Service of Summons and Complaint Returned Executed (21 days) | PROOF OF SERVICE Executed by Plaintiff Tom Cruise, upon Defendant Bauer Inc served on 10/25/2012, answer due 11/15/2012; Bauer Magazine L P served on 10/25/2012, answer due 11/15/2012; Bauer Media Group Inc served on 10/24/2012, answer due 11/14/2012; Bauer Publishing Company L P served on 10/25/2012, answer due 11/15/2012; Heinrich Bauer North America Inc served on 10/25/2012, answer due 11/15/2012. in compliance with Federal Rules of Civil Procedure by service on a domestic corporation, unincorporated association, or public entity. Original Summons returned. (Moss, Aaron) (Entered: 10/31/2012) | ||
2012-11-14 | 6 | 0 | Stipulation Extending Time to Answer (30 days or less) | Joint STIPULATION Extending Time to Answer the complaint as to Heinrich Bauer North America Inc answer now due 12/14/2012; Bauer Media Group Inc answer now due 12/14/2012; Bauer Publishing Company L P answer now due 12/14/2012; Bauer Inc answer now due 12/14/2012; Bauer Magazine L P answer now due 12/14/2012, re Complaint - (Discovery), Complaint - (Discovery) 1 filed by Defendants Heinrich Bauer North America Inc; Bauer Media Group Inc; Bauer Publishing Company L P; Bauer Inc; Bauer Magazine L P.(Wickers, Alonzo) (Entered: 11/14/2012) | 2012-11-14 23:39:28 | cdaa52943eb3a7476f95280930b859111f2c5186 |
2012-12-14 | 7 | 0 | Answer to Complaint (Discovery) | ANSWER to Complaint - (Discovery), Complaint - (Discovery) 1 filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc.(Wickers, Alonzo) (Entered: 12/14/2012) | 2012-12-15 00:26:45 | 1e823175a20e15161bc5912136635e8ddc9c7a0d |
2012-12-14 | 8 | 0 | Corporate Disclosure Statement | CORPORATE DISCLOSURE STATEMENT filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc identifying none as Corporate Parent. (Wickers, Alonzo) (Entered: 12/14/2012) | 2012-12-15 02:30:25 | a818d41d6097006440268fe6d2bdeee2ec3243ff |
2012-12-18 | 9 | 0 | Order | ORDER setting Scheduling Conference for 2/28/13 3:00 PM; compliance with FRCP 26(f) and filing of Rule 26(f) Report by Judge Dean D. Pregerson (lc) (Entered: 12/18/2012) | 2012-12-18 23:24:20 | b26d3d7fff091b91b30fcbc1540bf87023d449d1 |
2013-01-31 | 10 | 0 | Telephone Conference | MINUTES OF TELEPHONIC STATUS CONFERENCE held before Judge Dean D. Pregerson:Court informed counsel that he has hired the services of counsel from aseparate division of the firm of Greenberg Glusker Fields Claman & Machtinger LLP.This disclosure was met without opposition. Court Reporter: Maria Bustillos. (lc) (Entered: 02/06/2013) | ||
2013-02-07 | 11 | 0 | (TERMED) Application to Appear Pro Hac Vice | APPLICATION for attorney Elizabeth McNamara to Appear Pro Hac Vice. (PHV FEE PAID.) filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc. Lodged Application of Non Resident Attorney to Appear in a Specific Case. (lt) (Entered: 02/11/2013) | 2013-02-12 15:13:17 | 03baf79c1d39d1272dca24d40577638053d2f93d |
2013-02-07 | 12 | 0 | (TERMED) Application to Appear Pro Hac Vice | APPLICATION for attorney Deborah A. Adler to Appear Pro Hac Vice. (PHV FEE PAID.) filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc. Lodged Application of Non Resident Attorney to Appear in a Specific Case. (lt) (Entered: 02/11/2013) | ||
2013-02-08 | 13 | 0 | Order on Application to Appear Pro Hac Vice | ORDER by Judge Dean D. Pregerson: granting 11 Application to Appear Pro Hac Vice by Attorney Elizabeth McNamara on behalf of Defendants, designating Alonzo Wickers as local counsel. (lt) (Entered: 02/11/2013) | ||
2013-02-08 | 14 | 0 | Order on Application to Appear Pro Hac Vice | ORDER by Judge Dean D. Pregerson: granting 12 Application to Appear Pro Hac Vice by Attorney Deborah A. Adler on behalf of Defendants, designating Alonzo Wickers as local counsel. (lt) (Entered: 02/11/2013) | ||
2013-02-14 | 15 | 0 | Joint Report Rule 26(f) Discovery Plan | JOINT REPORT Rule 26(f) Discovery Plan ; estimated length of trial 5 days, filed by Plaintiff Tom Cruise.. (Moss, Aaron) (Entered: 02/14/2013) | 2013-02-15 04:18:51 | 5a109472fe897caf4d213da6beda1b5386911f15 |
2013-03-01 | 16 | 0 | Order/Referral to ADR (No 3) (Private Mediator) (ADR-12) | ORDER/REFERRAL to ADR Procedure No 3 by Judge Dean D. Pregerson. Case ordered to a private mediator based upon a stipulation of the parties or by the court order. (lc) (Entered: 03/01/2013) | 2013-03-05 19:22:42 | 799cd863aeb491ce4392572cd4e0f9516d249dc2 |
2013-02-28 | 17 | 0 | Scheduling Conference | MINUTES OF Scheduling Conference held before Judge Dean D. Pregerson. Court and counsel confer re case status. Court sets trial dates. (Refer to the SCHEDULING ORDER to be issued hereafter.)Court Reporter: none. (lc) (Entered: 03/01/2013) | ||
2013-03-08 | 18 | 0 | Scheduling Order | SCHEDULING ORDER by Judge Dean D. Pregerson: Pursuant to FRCP 16(b): Counsel must agree on date for the disclosure of expert witness reports pursuant to FRCP 26(a)2; FACT DISCOVERY CUTOFF: 10/13/13; EXPERT DISCOVERY CUT-OFF: 12/13/13; LAST DAY TO FILE MOTIONS: 1/27/14; FINAL PRE TRIAL CONFERENCE: 4/21/14 11:00 AM; JURY TRIAL: 4/29/14 9:00 AM. (lc) (Entered: 03/08/2013) | ||
2013-03-08 | 19 | 0 | Stipulation for Protective Order | Joint STIPULATION for Protective Order filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc. (Attachments: # 1 Proposed Order)(Wickers, Alonzo) (Entered: 03/08/2013) | 2013-03-11 15:10:36 | 2b13401f08f06171f485cd6a2611fff32da5f0f1 |
19 | 1 | 2013-03-11 15:12:44 | db6bfc518dc4ad3e7aca5fea0dc3eb4173f37726 | |||
2013-05-23 | 20 | 0 | Protective Order | ORDER GRANTING STIPULATED PROTECTIVE ORDER by Magistrate Judge Jacqueline Chooljian re Stipulation for Protective Order 19 . The Court hereby adopts the parties' Stipulated Protective Order as the order of the Court in this matter. (hr) (Entered: 05/23/2013) | 2013-05-24 15:26:08 | a8cd8bcfcb81d4ccd235b7a5da37f274bc51887c |
2013-07-31 | 21 | 0 | Stipulation to Continue | Joint STIPULATION to Continue Discovery Cut Off and Trial Date from 04/29/14 to 06/10/14 filed by Plaintiff Tom Cruise. (Attachments: # 1 Proposed Order)(Moss, Aaron) (Entered: 07/31/2013) | 2013-07-31 15:45:06 | 458ba42bc05b34d77af332272248358f8f0caa21 |
21 | 1 | |||||
2013-08-01 | 22 | 0 | Order | ORDER by Judge Dean D. Pregerson, re Stipulation 21 , The deadlines and hearings originally scheduled have been rescheduled: Fact Discovery cut-off 12/9/2013;Motions due by 3/10/2014; Final Pretrial Conference set for 6/2/2014 11:00 AM; Jury Trial set for 6/10/2014 09:00 AM. (lc) (Entered: 08/01/2013) | 2013-08-02 15:09:21 | 5818b69c7931851e43e807aa28a717f81e090091 |
2013-11-05 | 23 | 0 | Motion to Compel | NOTICE OF MOTION AND MOTION to Compel DEFENDANTS TO ADMIT THEY HAD NO SOURCES FOR THEIR MAGAZINE COVER HEADLINES; OR, IN THE ALTERNATIVE, TO COMPEL DEFENDANTS TO REVEAL THOSE SOURCES AND, UPON REFUSAL, FOR A NO SOURCE PRESUMPTION filed by Plaintiff Tom Cruise. Motion set for hearing on 11/26/2013 at 09:30 AM before Magistrate Judge Jacqueline Chooljian. (Moss, Aaron) (Entered: 11/05/2013) | 2013-11-08 13:14:39 | 495243b3c7893ce3392fbaf4e7b70266c55c08c9 |
2013-11-05 | 24 | 0 | Motion for Protective Order | NOTICE OF MOTION AND MOTION for Protective Order for holding that Bauer Defendants need not answer the disputed Requests for Admission and to Compel Responses to Request for Production filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc. Motion set for hearing on 11/26/2013 at 09:30 AM before Magistrate Judge Jacqueline Chooljian. (McNamara, Elizabeth) (Entered: 11/05/2013) | 2013-11-27 15:17:09 | abadb59a4d2dbb531ba44e29e00164d0bcfad555 |
2013-11-05 | 25 | 0 | Joint Stipulation re Discovery Motion | JOINT STIPULATION to MOTION for Protective Order for holding that Bauer Defendants need not answer the disputed Requests for Admission and to Compel Responses to Request for Production 24 filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc. (McNamara, Elizabeth) (Entered: 11/05/2013) | ||
2013-11-05 | 26 | 0 | Joint Stipulation re Discovery Motion | JOINT STIPULATION to MOTION to Compel DEFENDANTS TO ADMIT THEY HAD NO SOURCES FOR THEIR MAGAZINE COVER HEADLINES; OR, IN THE ALTERNATIVE, TO COMPEL DEFENDANTS TO REVEAL THOSE SOURCES AND, UPON REFUSAL, FOR A NO SOURCE PRESUMPTION 23 filed by Plaintiff Tom Cruise. (Attachments: # 1 Declaration of Tom Cruise in Support of Motion to Compel, # 2 Declaration of Aaron J. Moss in Support of Motion to Compel, # 3 Exhibit A to AMoss Declaration in Support of Motion to Compel, # 4 Exhibit B to AMoss Declaration in Support of Motion to Compel, # 5 Exhibit C to AMoss Declaration in Support of Motion to Compel, # 6 Exhibit D to AMoss Declaration in Support of Motion to Compel, # 7 Exhibit E to AMoss Declaration in Support of Motion to Compel, # 8 Exhibit F to AMoss Declaration in Support of Motion to Compel, # 9 Exhibit G to AMoss Declaration in Support of Motion to Compel, # 10 Exhibit H to AMoss Declaration in Support of Motion to Compel, # 11 Exhibit I to AMoss Declaration in Support of Motion to Compel, # 12 Exhibit J to AMoss Declaration in Support of Motion to Compel, # 13 Exhibit K to AMoss Declaration in Support of Motion to Compel, # 14 Exhibit L to AMoss Declaration in Support of Motion to Compel, # 15 Exhibit M to AMoss Declaration in Support of Motion to Compel, # 16 Exhibit N to AMoss Declaration in Support of Motion to Compel, # 17 Exhibit O to AMoss Declaration in Support of Motion to Compel, # 18 Exhibit P to AMoss Declaration in Support of Motion to Compel, # 19 Exhibit Q to AMoss Declaration in Support of Motion to Compel, # 20 Exhibit R to AMoss Declaration in Support of Motion to Compel, # 21 Exhibit S to AMoss Declaration in Support of Motion to Compel, # 22 Exhibit T to AMoss Declaration in Support of Motion to Compel, # 23 Exhibit U to AMoss Declaration in Support of Motion to Compel, # 24 Exhibit V to AMoss Declaration in Support of Motion to Compel, # 25 Exhibit W to AMoss Declaration in Support of Motion to Compel, # 26 Proposed Order Granting Plaintiff's Motion to Compel)(Moss, Aaron) (Entered: 11/05/2013) | ||
2013-11-05 | 27 | 0 | Declaration (Motion related) | DECLARATION of Elizabeth A. McNamara Support of MOTION for Protective Order for holding that Bauer Defendants need not answer the disputed Requests for Admission and to Compel Responses to Request for Production 24 filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13, # 14 Exhibit 14, # 15 Exhibit 15, # 16 Exhibit 16, # 17 Exhibit 17, # 18 Exhibit 18, # 19 Exhibit 19, # 20 Exhibit 20, # 21 Exhibit 21, # 22 Exhibit 22, # 23 Exhibit 23, # 24 Exhibit 24, # 25 Exhibit 25, # 26 Exhibit 26, # 27 Exhibit 27, # 28 Exhibit 28, # 29 Exhibit 29, # 30 Exhibit 30, # 31 Exhibit 31, # 32 Exhibit 32, # 33 Exhibit 33, # 34 Exhibit 34, # 35 Exhibit 35, # 36 Exhibit 36, # 37 Exhibit 37, # 38 Exhibit 38, # 39 Exhibit 39, # 40 Exhibit 40, # 41 Exhibit 41, # 42 Exhibit 42, # 43 Exhibit 43, # 44 Exhibit 44, # 45 Exhibit 45)(McNamara, Elizabeth) (Entered: 11/05/2013) | 2013-11-08 12:42:31 | 436088223beea8721e8b81d74e84bf4855c5007b |
27 | 1 | Exhibit 1 | ||||
27 | 2 | Exhibit 2 | ||||
27 | 3 | Exhibit 3 | ||||
27 | 4 | Exhibit 4 | ||||
27 | 5 | Exhibit 5 | ||||
27 | 6 | Exhibit 6 | ||||
27 | 7 | Exhibit 7 | ||||
27 | 8 | Exhibit 8 | ||||
27 | 9 | Exhibit 9 | ||||
27 | 10 | Exhibit 10 | 2013-11-08 12:46:03 | 486ff6ed8b431fc92ca4eb6bb0cd603ed35c426e | ||
27 | 11 | Exhibit 11 | ||||
27 | 12 | Exhibit 12 | ||||
27 | 13 | Exhibit 13 | ||||
27 | 14 | Exhibit 14 | ||||
27 | 15 | Exhibit 15 | ||||
27 | 16 | Exhibit 16 | ||||
27 | 17 | Exhibit 17 | ||||
27 | 18 | Exhibit 18 | ||||
27 | 19 | Exhibit 19 | 2013-11-08 12:46:46 | 038274bf7422ca8b44cdcba241a197726ac237f0 | ||
27 | 20 | Exhibit 20 | ||||
27 | 21 | Exhibit 21 | ||||
27 | 22 | Exhibit 22 | ||||
27 | 23 | Exhibit 23 | ||||
27 | 24 | Exhibit 24 | ||||
27 | 25 | Exhibit 25 | ||||
27 | 26 | Exhibit 26 | ||||
27 | 27 | Exhibit 27 | ||||
27 | 28 | Exhibit 28 | ||||
27 | 29 | Exhibit 29 | 2013-11-11 15:29:44 | 229e9a432be2edec4a8bbff65b3f6bdd8c701498 | ||
27 | 30 | Exhibit 30 | ||||
27 | 31 | Exhibit 31 | ||||
27 | 32 | Exhibit 32 | ||||
27 | 33 | Exhibit 33 | ||||
27 | 34 | Exhibit 34 | ||||
27 | 35 | Exhibit 35 | ||||
27 | 36 | Exhibit 36 | ||||
27 | 37 | Exhibit 37 | ||||
27 | 38 | Exhibit 38 | ||||
27 | 39 | Exhibit 39 | ||||
27 | 40 | Exhibit 40 | ||||
27 | 41 | Exhibit 41 | ||||
27 | 42 | Exhibit 42 | ||||
27 | 43 | Exhibit 43 | ||||
27 | 44 | Exhibit 44 | ||||
27 | 45 | Exhibit 45 | ||||
2013-11-05 | 28 | 0 | Declaration (Motion related) | DECLARATION of Aaron J. Moss in OPPOSITION to MOTION for Protective Order for holding that Bauer Defendants need not answer the disputed Requests for Admission and to Compel Responses to Request for Production 24 filed by Plaintiff Tom Cruise. (Attachments: # 1 Exhibit A to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 2 Exhibit B to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 3 Exhibit C to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 4 Exhibit D to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 5 Exhibit E to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 6 Exhibit F to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 7 Exhibit G to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 8 Exhibit H to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 9 Exhibit I to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 10 Exhibit J to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 11 Exhibit K to AMoss Declaration in Opposition to Bauer Motion For Protective Order, # 12 Exhibit L to AMoss Declaration in Opposition to Bauer Motion For Protective Order)(Moss, Aaron) (Entered: 11/05/2013) | 2013-11-08 13:17:47 | 1c6634803c938daa21ec13e435bed4356f67ba53 |
28 | 1 | Exhibit A to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 2 | Exhibit B to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 3 | Exhibit C to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 4 | Exhibit D to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 5 | Exhibit E to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 6 | Exhibit F to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 7 | Exhibit G to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 8 | Exhibit H to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 9 | Exhibit I to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 10 | Exhibit J to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 11 | Exhibit K to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
28 | 12 | Exhibit L to AMoss Declaration in Opposition to Bauer Motion For Protective Orde | ||||
2013-11-05 | 29 | 0 | Declaration (Motion related) | DECLARATION of Matt Galsor in OPPOSITION to MOTION for Protective Order for holding that Bauer Defendants need not answer the disputed Requests for Admission and to Compel Responses to Request for Production 24 filed by Plaintiff Tom Cruise. (Attachments: # 1 Exhibit 1 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 2 Exhibit 2 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 3 Exhibit 3 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 4 Exhibit 4 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 5 Exhibit 5 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 6 Exhibit 6 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 7 Exhibit 7 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 8 Exhibit 8 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 9 Exhibit 9 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 10 Exhibit 10 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 11 Exhibit 11 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 12 Exhibit 12 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 13 Exhibit 13 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 14 Exhibit 14 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 15 Exhibit 15 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 16 Exhibit 16 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order, # 17 Exhibit 17 to MGalsor Declaration in Opposition to Bauer Motion For Protective Order)(Moss, Aaron) (Entered: 11/05/2013) | 2013-11-08 13:12:59 | 0d0a46ef41ed22698714e338d6043efb35a53ddf |
29 | 1 | Exhibit 1 to MGalsor Declaration in Opposition to Bauer Motion For Protective Or | 2013-11-08 13:15:02 | 1d3ec1cee42ad98bf97539e8fb5be27c1ea02c90 | ||
29 | 2 | Exhibit 2 to MGalsor Declaration in Opposition to Bauer Motion For Protective Or | ||||
29 | 3 | Exhibit 3 to MGalsor Declaration in Opposition to Bauer Motion For Protective Or | ||||
29 | 4 | Exhibit 4 to MGalsor Declaration in Opposition to Bauer Motion For Protective Or | ||||
29 | 5 | Exhibit 5 to MGalsor Declaration in Opposition to Bauer Motion For Protective O | ||||
29 | 6 | Exhibit 6 to MGalsor Declaration in Opposition to Bauer Motion For Protective Or | ||||
29 | 7 | Exhibit 7 to MGalsor Declaration in Opposition to Bauer Motion For Protective Or | ||||
29 | 8 | Exhibit 8 to MGalsor Declaration in Opposition to Bauer Motion For Protective Or | ||||
29 | 9 | Exhibit 9 to MGalsor Declaration in Opposition to Bauer Motion For Protective Or | ||||
29 | 10 | Exhibit 10 to MGalsor Declaration in Opposition to Bauer Motion For Protective O | ||||
29 | 11 | Exhibit 11 to MGalsor Declaration in Opposition to Bauer Motion For Protective O | ||||
29 | 12 | Exhibit 12 to MGalsor Declaration in Opposition to Bauer Motion For Protective O | ||||
29 | 13 | Exhibit 13 to MGalsor Declaration in Opposition to Bauer Motion For Protective O | ||||
29 | 14 | Exhibit 14 to MGalsor Declaration in Opposition to Bauer Motion For Protective O | ||||
29 | 15 | Exhibit 15 to MGalsor Declaration in Opposition to Bauer Motion For Protective O | ||||
29 | 16 | Exhibit 16 to MGalsor Declaration in Opposition to Bauer Motion For Protective O | 2013-11-08 13:10:55 | 251783279fa5591ba8010d7c1911f8f03e3043d3 | ||
29 | 17 | Exhibit 17 to MGalsor Declaration in Opposition to Bauer Motion For Protective O | ||||
2013-11-05 | 30 | 0 | Motion Related Document | [PROPOSED] ORDER DENYING DEFENDANTS MOTION FOR PROTECTIVE ORDER AND MOTION TO COMPEL re MOTION for Protective Order for holding that Bauer Defendants need not answer the disputed Requests for Admission and to Compel Responses to Request for Production 24 filed by Plaintiff Tom Cruise. (Moss, Aaron) (Entered: 11/05/2013) | ||
2013-11-05 | 31 | 0 | Amendment (Motion related) | Amendment to MOTION for Protective Order for holding that Bauer Defendants need not answer the disputed Requests for Admission and to Compel Responses to Request for Production 24 filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc. (Attachments: # 1 Proposed Order)(McNamara, Elizabeth) (Entered: 11/05/2013) | 2013-11-08 12:41:53 | 69418580c37291218f7b13ed9130b4ad83221412 |
31 | 1 | |||||
2013-11-05 | 32 | 0 | Declaration (Motion related) | DECLARATION of Elizabeth A. McNamara in opposition to MOTION to Compel DEFENDANTS TO ADMIT THEY HAD NO SOURCES FOR THEIR MAGAZINE COVER HEADLINES; OR, IN THE ALTERNATIVE, TO COMPEL DEFENDANTS TO REVEAL THOSE SOURCES AND, UPON REFUSAL, FOR A NO SOURCE PRESUMPTION 23 filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc. (Attachments: # 1 Exhibit 1, # 2 Exhibit 2, # 3 Exhibit 3, # 4 Exhibit 4, # 5 Exhibit 5, # 6 Exhibit 6, # 7 Exhibit 7, # 8 Exhibit 8, # 9 Exhibit 9, # 10 Exhibit 10, # 11 Exhibit 11, # 12 Exhibit 12, # 13 Exhibit 13, # 14 Exhibit 14, # 15 Exhibit 15, # 16 Exhibit 16, # 17 Exhibit 17, # 18 Exhibit 18, # 19 Exhibit 19, # 20 Exhibit 20, # 21 Exhibit 21, # 22 Exhibit 22, # 23 Exhibit 23, # 24 Exhibit 24, # 25 Exhibit 25, # 26 Exhibit 26, # 27 Exhibit 27, # 28 Exhibit 28, # 29 Exhibit 29, # 30 Exhibit 30, # 31 Exhibit 31, # 32 Exhibit 32, # 33 Exhibit 33, # 34 Exhibit 34, # 35 Exhibit 35, # 36 Exhibit 36, # 37 Exhibit 37, # 38 Exhibit 38, # 39 Exhibit 39, # 40 Exhibit 40, # 41 Exhibit 41, # 42 Exhibit 42, # 43 Exhibit 43, # 44 Exhibit 44, # 45 Exhibit 45, # 46 Exhibit 46, # 47 Exhibit 47, # 48 Exhibit 48, # 49 Exhibit 49, # 50 Exhibit 50, # 51 Exhibit 51, # 52 Proposed Order)(McNamara, Elizabeth) (Entered: 11/05/2013) | 2013-11-08 12:31:19 | 51ec358b502c41afc67db2f707cf9335ef2218ac |
32 | 1 | Exhibit 1 | ||||
32 | 2 | Exhibit 2 | 2013-11-08 12:33:07 | 4ebaa05e000d5977b83e33963712ae17e318b7f9 | ||
32 | 3 | Exhibit 3 | 2013-11-08 12:36:41 | 214aa7d7902d05ab7b0d3c6a9e8ea167d4a7661f | ||
32 | 4 | Exhibit 4 | ||||
32 | 5 | Exhibit 5 | ||||
32 | 6 | Exhibit 6 | 2013-11-08 12:34:44 | 0d48d5ab24258d2a2e4b5f9b56599a70a81e54ce | ||
32 | 7 | Exhibit 7 | 2013-11-08 12:39:08 | 5b001751833a3c67255676ebb6077394fa1b43a8 | ||
32 | 8 | Exhibit 8 | 2013-11-08 12:35:38 | bef13c84ac51d0900b229ad96347ac23df8f9867 | ||
32 | 9 | Exhibit 9 | ||||
32 | 10 | Exhibit 10 | ||||
32 | 11 | Exhibit 11 | 2013-11-08 12:36:24 | 1e3619b4a8fa1e1c0d7d26a00ade4f0fc7e551b9 | ||
32 | 12 | Exhibit 12 | ||||
32 | 13 | Exhibit 13 | ||||
32 | 14 | Exhibit 14 | ||||
32 | 15 | Exhibit 15 | ||||
32 | 16 | Exhibit 16 | ||||
32 | 17 | Exhibit 17 | ||||
32 | 18 | Exhibit 18 | ||||
32 | 19 | Exhibit 19 | ||||
32 | 20 | Exhibit 20 | ||||
32 | 21 | Exhibit 21 | ||||
32 | 22 | Exhibit 22 | 2013-11-08 12:37:33 | 8331622dc8baf606edad90eb40587c011aae0b82 | ||
32 | 23 | Exhibit 23 | 2013-11-08 12:39:47 | 584840e6acd825fd40f2abccaf8f38c6c3a30c4c | ||
32 | 24 | Exhibit 24 | ||||
32 | 25 | Exhibit 25 | ||||
32 | 26 | Exhibit 26 | 2013-11-08 12:39:13 | 3ce0b8d5cf43282bd2d3e65302f4631e5c9fef9d | ||
32 | 27 | Exhibit 27 | ||||
32 | 28 | Exhibit 28 | 2013-11-08 12:41:24 | 8f445945b418936da94622e7debb1c48fa04ce04 | ||
32 | 29 | Exhibit 29 | ||||
32 | 30 | Exhibit 30 | ||||
32 | 31 | Exhibit 31 | ||||
32 | 32 | Exhibit 32 | ||||
32 | 33 | Exhibit 33 | ||||
32 | 34 | Exhibit 34 | ||||
32 | 35 | Exhibit 35 | ||||
32 | 36 | Exhibit 36 | ||||
32 | 37 | Exhibit 37 | ||||
32 | 38 | Exhibit 38 | ||||
32 | 39 | Exhibit 39 | ||||
32 | 40 | Exhibit 40 | 2013-11-08 12:41:47 | 799e0842361b56da5e99145c6d7a780e4fa87d86 | ||
32 | 41 | Exhibit 41 | ||||
32 | 42 | Exhibit 42 | ||||
32 | 43 | Exhibit 43 | 2013-11-08 12:40:31 | 296e78a271f4a5c72a36f835a9b5cd1887c1ffe2 | ||
32 | 44 | Exhibit 44 | ||||
32 | 45 | Exhibit 45 | 2013-11-08 12:43:10 | e940230b00ee498a2713014ab53174198438664a | ||
32 | 46 | Exhibit 46 | ||||
32 | 47 | Exhibit 47 | 2013-11-08 12:32:21 | 607e76d6d7d0ffb6d6da802dafd2a9bd72b06d50 | ||
32 | 48 | Exhibit 48 | ||||
32 | 49 | Exhibit 49 | ||||
32 | 50 | Exhibit 50 | ||||
32 | 51 | Exhibit 51 | ||||
32 | 52 | Proposed Order | ||||
2013-11-12 | 33 | 0 | Supplement(Motion related) | SUPPLEMENT to MOTION for Protective Order for holding that Bauer Defendants need not answer the disputed Requests for Admission and to Compel Responses to Request for Production 24 filed by Defendants Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc. (McNamara, Elizabeth) (Entered: 11/12/2013) | 2013-11-12 15:56:54 | 266bcfb6fd1e4785fa7a2cfead293d72bf3277a2 |
2013-11-12 | 34 | 0 | Supplement(Motion related) | SUPPLEMENT to MOTION to Compel DEFENDANTS TO ADMIT THEY HAD NO SOURCES FOR THEIR MAGAZINE COVER HEADLINES; OR, IN THE ALTERNATIVE, TO COMPEL DEFENDANTS TO REVEAL THOSE SOURCES AND, UPON REFUSAL, FOR A NO SOURCE PRESUMPTION 23 filed by Plaintiff Tom Cruise. (Moss, Aaron) (Entered: 11/12/2013) | 2013-11-12 16:01:32 | 1868adf8066e8770173b3a121c40691436a7a521 |
2013-11-26 | 35 | 0 | Order on Motion to Compel | MINUTES (IN CHAMBERS): (1) HEARING ON DEFENDANTS' MOTION FOR PROTECTIVE ORDER AND TO COMPEL RESPONSES TO REQUESTS FOR PRODUCTION ("DEFENDANTS' MOTION") AND PLAINTIFF'S MOTION TO COMPEL DEFENDANTS TO ADMIT THEY HAD NO SOURCES FOR THEIR MAGAZINE COVER HEADLINES ("PLAINTIFF'S MOTION"); (2) ORDER GRANTING IN PART AND DENYING IN PART DEFENDANTS' MOTION (DOCKET NO. 24); AND (3) ORDER GRANTING IN PART AND DENYING IN PART PLAINTIFF'S MOTION (DOCKET NO. 23) by Magistrate Judge Jacqueline Chooljian: granting in part and denying in part 23 Motion to Compel; granting in part and denying in part 24 Motion for Protective Order. The Court adopted its tentative ruling and, for the reasons stated on the record, granted in part and denied in part Defendants' Motion. The Court granted in part and denied in part Defendants' Motion to the extent it sought Defendants' reasonable attorneys' fees and costs incurred in bringing Defendants' Motion. (See Order for Details) (rp) (Entered: 11/26/2013) | 2013-11-27 15:09:40 | dac4398ddab3ae92bb1452f27b565c3a97abcff4 |
2013-12-03 | 36 | 0 | Text Only Scheduling Notice | TEXT ENTRY ONLY: Magistrate Judge Jacqueline Chooljian is participating in a pilot project regarding the submission of SEALED DOCUMENTS. Effective July 8, 2013, all proposed sealed documents pertaining to discovery matters referred to the magistrate judge must be submitted via e-mail to the Judge's Chambers email at JC_chambers@cacd.uscourts.gov. Please refer to the judge's procedures and schedules for detailed instructions for submission of sealed documents. THERE IS NO PDF DOCUMENT ASSOCIATED WITH THIS ENTRY. (hr) TEXT ONLY ENTRY (Entered: 12/03/2013) | ||
2013-12-03 | 37 | 0 | (TERMED) Application for Attorney Fees | APPLICATION for Attorney Fees and Costs filed by D Bauer Inc, Bauer Magazine L P, Bauer Media Group Inc, Bauer Publishing Company L P, Heinrich Bauer North America Inc. (Attachments: # 1 Declaration of Elizabeth McNamara, # 2 Exhibit A, # 3 Declaration B)(McNamara, Elizabeth) (Entered: 12/03/2013) | 2013-12-04 15:07:56 | 84458f93d735b8475543e917c62869e7f826ba36 |
37 | 1 | Declaration of Elizabeth McNamara | ||||
37 | 2 | Exhibit A | 2013-12-04 15:08:58 | ab1cbef1845f902aa756b35077b8f48f237a3918 | ||
37 | 3 | Declaration B | 2013-12-05 03:47:21 | ff9826f4d1b422c0f9bbf09807725a385e49b91c | ||
2013-12-10 | 38 | 0 | Response in Opposition to Motion | OPPOSITION to APPLICATION for Attorney Fees and Costs 37 filed by Plaintiff Tom Cruise. (Moss, Aaron) (Entered: 12/10/2013) | 2013-12-11 15:04:26 | b531c92d5721644f976813bdf3fb77fdd2f1a36c |
2013-12-20 | 39 | 0 | Stipulation to Dismiss Case | Joint STIPULATION to Dismiss Case pursuant to Pursuant to FRCP 41(a)(1)(A)(ii) filed by Plaintiff Tom Cruise.(Moss, Aaron) (Entered: 12/20/2013) | ||
2013-12-26 | 40 | 0 | Order on Application for Attorney Fees |