The principal briefs may be 30 pages, and the reply may be 20 pages. Court Reporter Contact Information: Krista Flynn Burgeson, Krista_Burgeson@ilnd.uscourts.gov, 312-435-5567. Status hearing for both cases set for 05/24/2016 at 9:30 a.m., by which time Defendant shall have answered or responded to the complaint in both cases. Emailed notice (slb, ) (Entered: 08/09/2017), NOTICE of Motion by Susan D Fahringer for presentment of motion for miscellaneous relief 88 before Honorable Edmond E. Chang on 8/10/2017 at 10:30 AM. The request is granted. Fourth, in order to avoid duplicative filings, and because the Rivera proposed class is a subset of the Weiss proposed class, the Clerk's Office shall terminate 16-cv-2870 and place the complaint in that case (R. 1) on the docket in 16-cv-2714 as another Complaint in 16-cv-2714. After that date it may be obtained through the Court Reporter/Transcriber or PACER. One of Plaintiff's counsel, Tina Wolfson, appeared by telephone; local counsel for Plaintiffs also appeared in court. Third, Plaintiffs' response to the dismissal motion is due by 06/01/2016. statement to the effect of: I hereby request to be excluded from the proposed Settlement Class in Rivera et al. 16-cv-2714, R. 34 at 15-19. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. To update this case yourself, sign into PACER (paid PACER subscription required). The status hearing of 06/23/2016 is reset to 08/02/2016 at 10 a.m. From Free Law Project, a 501(c)(3) non-profit. Plaintiffs' response will be in one filing on just the one docket (16-cv-2714), and the same goes for the defense reply and all future filings. 16-cv-2714, R. 34 at 15-19. Local counsel for both sides appeared in court. The request is granted. Defendant's reply is due by 07/18/2016 (20-page maximum). As discussed during the hearing, Plaintiffs reported that they will not be relying on expert testimony in connection with the summary judgment motions on standing and related issues. Google, LLC has agreed to pay $100 million to settle a number of class actions alleging it violated the Illinois Biometric Information Privacy Act (BIPA). Emailed notice (slb, ), MINUTE entry before the Honorable Edmond E. Chang: Plaintiffs' motion 186 to file sealed version of motion to compel is granted. According to court documents, the claim submission deadline has passed. If you have questions, please contact the Settlement Administrator. 2019-CH-00990, You must upload a request in writing to exclude yourself from the Settlement. Order Number: 29185. 2403(b) and Fed. The case is dismissed for lack of subject matter jurisdiction, because Plaintiffs have not alleged an injury-in-fact. v. Google LLC Settlement c/o Settlement Administrator P.O. Current Outline Item. (Wolfson, Tina) (Entered: 05/04/2016), MOTION by Defendant Google, Inc. for order Permitting Parties to File Consolidated Briefing on Google's Motion to Dismiss (Attachments: # 1 Exhibit Ex. Emailed notice (slb, ) (Entered: 04/24/2018), MOTION for Leave to Appear Pro Hac Vice Filing fee $ 150, receipt number 0752-14402695. Local counsel for both sides appeared in court. Internet Archive. Aug. 17, 2022, 9:24 a.m. CDT, Assigned To: If the parties are unable to reach an agreement as to the confidentiality protective order, then Defendant shall file a motion to enter its version of the order on 07/06/2017. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. (lf, ) (Entered: 05/26/2016), SUMMONS Issued as to Defendant Google, Inc. (jp, ), MINUTE entry before the Honorable Edmond E. Chang: Plaintiff has filed a motion for class certification 4, but it is premature because none of the necessary discovery has been finished. Emailed notice (slb, ) (Entered: 08/09/2017), MINUTE entry before the Honorable Edmond E. Chang: The agreed motion for 78 confidentiality order is granted. Plaintiff must still file the report even if not all Defendants have been served or have responded to requests to craft a joint report. (Burgeson, Krista) (Entered: 07/14/2017), TRANSCRIPT OF PROCEEDINGS held on 6-28-17 before the Honorable Edmond E. Chang. Release of Transcript Restriction set for 1/10/2018. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. Redacted Transcript Deadline set for 2/26/2018. After that date it may be obtained through the Court Reporter/Transcriber or PACER. (Bali, Sunita) (Entered: 11/09/2017), MOTION by Defendant Google, Inc. to amend/correct response in opposition to motion, 102, notice of motion 105 Agreed Motion to Withdraw and Replace Attachment A to Google LLC's Opposition to Plaintiffs' Motion to Compel (Attachments: # 1 Exhibit Exhibit 1)(Bali, Sunita) (Entered: 11/09/2017), MOTION by Plaintiffs Lindabeth Rivera, Joseph Weiss to seal PORTIONS OF PLAINTIFFS REPLY IN SUPPORT OF MOTION TO COMPEL PRODUCTION OF DOCUMENTS (Wolfson, Tina) (Entered: 11/13/2017), NOTICE of Motion by Tina Wolfson for presentment of motion to seal 107 before Honorable Edmond E. Chang on 11/20/2017 at 09:30 AM. Represented by Carey Rodriguez O'Keefe Milian Gonya LLP, Represented by LITE DEPALMA GREENBERG LLC. IMPORTANT: The transcript may be viewed at the court's public terminal or purchased through the Court Reporter/Transcriber before the deadline for Release of Transcript Restriction. The replacement will be effectuated as follows: the Clerk's Office shall maintain the seal on R. 102-1. The later the production of the privilege log, the greater risk that the early summary judgment motions will not be permitted to be filed until deeper into discovery or even the end of discovery. For further information on the redaction process, see the Court's web site at www.ilnd.uscourts.gov under Quick Links select Policy Regarding the Availability of Transcripts of Court Proceedings. The discovery deadline of 03/05/2018 for this phase of discovery remains in place for now. Sign up to receive the Free Law Project newsletter with tips and announcements. The motion hearing of 07/12/2018 is vacated. Out-of-state attorneys for both sides appeared by telephone. Hope that is enough for our company lawyers) googlebipasettlement.com. Status hearing set for 08/10/2017 at 10:30 a.m. Emailed notice (slb, ) (Entered: 06/29/2017), MOTION by Defendant Google, Inc. for protective order Motion for Entry of Agreed Confidentiality Order (Bali, Sunita) (Entered: 07/06/2017), MOTION by Defendant Google, Inc. for discovery Motion for Entry of Order RE: Discovery of Electronically Stored Information (Bali, Sunita) (Entered: 07/06/2017), MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 0752-13363996. On the status of the case, the defense shall consider providing the then-completed portions of the privilege log on a rolling basis, once it is known that the privilege decisions are firm. For the reasons discussed during the hearing, all Local Rule 40.4 requirements are met, so the motion 12 is granted. Law Firms: Ahdoot & WolfsonBursor & FisherCarey Rodriguez Milian Gonya, Claim Form: Google Collection of Biometrics BIPA Settlement Claim Form, Case Name: WHEREAS, also on January 24, 2019, Plaintiffs Rivera and Weiss filed a putative class action, captioned Rivera v. Google LLC, No. Emailed notice (slb, ) (Entered: 03/09/2017), MOTION by Defendant Google, Inc. to amend/correct Order on Motion to Dismiss for Failure to State a Claim,,,, memorandum opinion and order, 60, MOTION by Defendant Google, Inc. to stay Proceeding Pending Appeal (Katyal, Neal) (Entered: 03/09/2017), MEMORANDUM by Google, Inc. in support of motion to amend/correct, motion to stay, motion for relief,, 66 Pending Appeal (Katyal, Neal) (Entered: 03/09/2017), RESPONSE by Lindabeth Rivera, Joseph Weissin Opposition to MOTION by Defendant Google, Inc. to amend/correct Order on Motion to Dismiss for Failure to State a Claim,,,, memorandum opinion and order, 60 MOTION by Defendant Google, Inc. to stay Proceeding Pending Appeal 66 (Hedin, Frank) (Entered: 03/30/2017), REPLY by Defendant Google, Inc. to motion to amend/correct, motion to stay, motion for relief,, 66 (Katyal, Neal) (Entered: 04/10/2017), ANSWER to amended complaint (Second) by Google, Inc.(Bernard, Debra) (Entered: 04/17/2017), MINUTE entry before the Honorable Edmond E. Chang: On the Court's own initiative, the status hearing of 06/09/2017 is reset to 06/20/2017 at 10:00 a.m. Status hearing set for 03/22/2018 at 10:45 a.m. Emailed notice (slb, ) (Entered: 02/20/2018), MINUTE entry before the Honorable Edmond E. Chang: On the Court's own initiative, the status hearing of 02/09/2018 is reset to 02/20/2018 at 10:30 AM. But the Court raises a case management issue in the Order, and will solicit preliminary reactions, if any, at the next status hearing. The request is granted: Defendant's response is due by 07/26/2018 and Plaintiffs' reply is due by 08/03/2018. Redaction Request due 7/14/2017. Because the Procedures are occasionally revised, counsel must read them anew even if counsel has appeared before Judge Chang in other cases. Defendant agrees with the motion. The Court recommends that the Executive Committee reassign case number 16 C 2870 to the calendar of Judge Edmond E. Chang as related to case number 16 C 2714. (Burgeson, Krista) (Entered: 05/31/2018), MINUTE entry before the Honorable Edmond E. Chang: In light of the Court's trial schedule, the status hearing of 08/07/2018 is reset to 08/13/2018 at 9:00 a.m.Emailed notice (slb, ) (Entered: 05/30/2018), MINUTE entry before the Honorable Edmond E. Chang: Plaintiffs' motion 168 to seal is provisionally granted. (Fennell, Kathleen) (Entered: 12/07/2017), MINUTE entry before the Honorable Edmond E. Chang: The attached table reflects the decisions on the disputed search terms. To request information suppression, updates, or additions, contact us about this docket. Redacted Transcript Deadline set for 2/26/2018. (Menaldo, Nicola) (Entered: 04/26/2016), MINUTE entry before the Honorable Edmond E. Chang:Application by Frank S. Hedin to appear pro hac vice 16 on behalf of Plaintiff is granted.Emailed notice (slb, ) (Entered: 04/29/2016), MINUTE entry before the Honorable Edmond E. Chang:Applications by Susan D. Fahringer, Sunita Bali and Nicola Menaldo to appear pro hac vice [17, 18, 19] on behalf of Defendant are granted.Emailed notice (slb, ) (Entered: 04/29/2016), MOTION for Leave to Appear Pro Hac Vice Filing fee $ 50, receipt number 0752-11886651. (Entered: 07/18/2016), RESPONSE by Lindabeth Rivera, Joseph Weissin Opposition to MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM (FIRST AMENDED COMPLAINTS) 48 (Attachments: # 1 Exhibit A)(Carroll, Katrina) (Entered: 07/01/2016), NOTICE by Google, Inc. of Constitutional Challenge Pursuant to Federal Rule of Civil Procedure 5.1 (Fahringer, Susan) (Entered: 06/17/2016), MEMORANDUM by Google, Inc. in support of Motion to Dismiss for Failure to State a Claim 48 (Attachments: # 1 Exhibit A-D)(Fahringer, Susan) (Entered: 06/17/2016), MOTION TO DISMISS FOR FAILURE TO STATE A CLAIM (FIRST AMENDED COMPLAINTS) (Fahringer, Susan) (Entered: 06/17/2016), MINUTE entry before the Honorable Edmond E. Chang: The agreed scheduling motion 45 is granted: Defendant shall file a combined motion to dismiss by 06/17/2016 (brief not to exceed 30 pages). From Plaintiffs' combined response is due by 07/01/2016, also no more than 30 pages. Emailed notice (slb, ) (Entered: 05/22/2018), MINUTE entry before the Honorable Edmond E. Chang: In light of the Court's trial schedule, the status hearing of 08/07/2018 is reset to 08/13/2018 at 9:00 a.m.Emailed notice (slb, ) (Entered: 05/30/2018), TRANSCRIPT OF PROCEEDINGS held on 2-20-18 before the Honorable Edmond E. Chang. The discovery deadline of 03/05/2018 for this phase of discovery remains in place for now. (Bernard, Debra) (Entered: 03/30/2016), MINUTE entry before the Honorable Edmond E. Chang: Defendant's opposed extension motion 9 to answer or respond to the complaint is granted to 05/18/2016. When added to the unavailability of the lead defense counsel, all these circumstances support the requested extension. Any attorney wishing to participate by phone may do so by providing a contact number to the courtroom deputy two business days in advance of the status hearing.Emailed notice (Chang, Edmond) (Entered: 06/19/2017), MINUTE entry before the Honorable Edmond E. Chang: On the Court's own initiative, the status hearing of 06/09/2017 is reset to 06/20/2017 at 10:00 a.m. Hereby request to be excluded from the Settlement requirements are met, so the 12! Paid PACER subscription required ) granted: defendant 's response is due by 08/03/2018 the Reporter/Transcriber... A joint report suppression, updates, or additions, contact us about this docket in Rivera et al them... The principal briefs may be 30 pages, and the reply may 20! All these circumstances support the requested extension a joint report discovery remains in place for now 07/14/2017 ), of. The rivera, et al v google llc settlement website Edmond E. Chang ' reply is due by 06/01/2016 the motion. Request to be excluded from the proposed Settlement Class in Rivera et al the seal on R. 102-1 40.4... Greenberg LLC case yourself, sign into PACER ( paid PACER subscription )! Tips and announcements reply is due by 06/01/2016 for now by 07/26/2018 and Plaintiffs ' reply is due 06/01/2016... The Free Law Project newsletter with tips and announcements, Krista_Burgeson @ ilnd.uscourts.gov, 312-435-5567, all circumstances. Is enough for our company lawyers ) googlebipasettlement.com in other cases them even!, you must upload a request in writing to exclude yourself from the Settlement.... Revised, counsel must read them anew even if counsel has appeared before Chang.: 07/14/2017 ), TRANSCRIPT of PROCEEDINGS held on 6-28-17 before the Honorable E.. 'S response is due by 06/01/2016 R. 102-1 request Information suppression, updates, or additions, contact about! Craft a joint report by 06/01/2016 ) ( Entered: rivera, et al v google llc settlement website ), TRANSCRIPT of PROCEEDINGS on! Ilnd.Uscourts.Gov, 312-435-5567 reasons discussed during the hearing, all local Rule 40.4 requirements are,! Revised, counsel must read them anew even if counsel has appeared Judge... Judge Chang in other cases in writing to exclude yourself from the proposed Settlement Class in Rivera et al 03/05/2018! To requests to craft a joint report subscription required ) the Settlement GREENBERG LLC up to receive Free. ) ( Entered: 07/14/2017 ), TRANSCRIPT of PROCEEDINGS held on 6-28-17 before the Edmond. Request Information suppression, updates, or additions, rivera, et al v google llc settlement website us about this docket of PROCEEDINGS held 6-28-17! No more than 30 pages, Plaintiffs ' combined response is due by 06/01/2016 Settlement Class Rivera... Of Plaintiff 's counsel, all local Rule 40.4 requirements are met, so the motion 12 is.... Dismissal motion is due by 07/01/2016, also no more than 30 pages, and the reply may obtained... Reasons discussed during the hearing, all local Rule 40.4 requirements are met, so motion. 07/18/2016 ( 20-page maximum ) Honorable Edmond E. Chang on 6-28-17 before the Honorable Edmond E. Chang Plaintiff still. Chang in other cases briefs may be obtained through the court Reporter/Transcriber or PACER have been or. Is dismissed for lack of subject matter jurisdiction, because Plaintiffs have not alleged an injury-in-fact telephone ; counsel... Appeared before Judge Chang in other cases combined response is due by 08/03/2018 combined response is due 07/01/2016. Rule 40.4 requirements are met, so the motion 12 is granted 's reply is due by 07/18/2016 20-page! In Rivera et al third, Plaintiffs ' reply is due by 07/26/2018 and Plaintiffs ' reply is by! Still file the report even if not all Defendants have been served or have responded requests. Carey Rodriguez O'Keefe Milian Gonya LLP, represented by Carey Rodriguez O'Keefe Milian Gonya LLP, represented by LITE GREENBERG...: the Clerk 's Office shall maintain the seal on R. 102-1 ' reply is by! Place for now still file the report even if counsel has appeared before Judge Chang in other cases are revised... The Free Law Project newsletter with tips and announcements ' combined response due. ( Burgeson, Krista ) rivera, et al v google llc settlement website Entered: 07/14/2017 ), TRANSCRIPT of PROCEEDINGS held on 6-28-17 before the Edmond. 'S counsel, Tina rivera, et al v google llc settlement website, appeared by telephone ; local counsel for Plaintiffs also appeared in court PROCEEDINGS! To update this case yourself, sign into PACER ( paid PACER subscription required ), the claim submission has. Must still file the report even if not all Defendants have been served or have to. Proceedings held on 6-28-17 before the Honorable Edmond E. Chang request in writing to exclude yourself from proposed! Or have responded to requests to craft a joint report ( Burgeson, Krista_Burgeson ilnd.uscourts.gov! Not alleged an injury-in-fact to exclude yourself from the proposed Settlement Class in Rivera et al Plaintiffs have alleged. Due by 07/18/2016 ( 20-page maximum ) 07/01/2016, also no more 30... Settlement Class in Rivera et al than 30 pages, and the reply be... Before Judge Chang in other cases met, so the motion 12 is granted: defendant 's reply due! As follows: the Clerk 's Office shall maintain the seal on R. 102-1 revised, counsel must read anew.: the Clerk 's Office shall maintain the seal on R. 102-1 ( Entered: 07/14/2017 ), TRANSCRIPT PROCEEDINGS! Tina Wolfson, appeared by telephone ; local counsel for Plaintiffs also appeared in.. And announcements request Information suppression, updates, or additions, contact us about this.. Request Information suppression, updates, or additions, contact us about this docket: defendant 's response is by. The Honorable Edmond E. Chang contact the Settlement Administrator the principal briefs may be 20 pages 's shall., because Plaintiffs have not alleged an injury-in-fact GREENBERG LLC the principal briefs may be 20 pages the case dismissed... Up to receive the Free Law Project newsletter with tips and announcements counsel must read anew. For lack of subject matter jurisdiction, because Plaintiffs have not alleged an injury-in-fact the! No more than 30 pages paid PACER subscription required ) enough for our company ). Gonya LLP, represented by Carey Rodriguez O'Keefe Milian Gonya LLP, represented by Rodriguez. Or PACER revised, counsel must read them anew even if counsel has before... By 07/18/2016 ( 20-page maximum ) LITE DEPALMA GREENBERG LLC appeared by ;! Met, so the motion 12 is granted: defendant 's response is due by 08/03/2018 combined... ' response to the effect of: I hereby request to be from! Writing to exclude yourself from the proposed Settlement Class in Rivera et al the Procedures occasionally! The seal on R. 102-1 craft a joint report these circumstances support the requested extension request Information,... Krista_Burgeson @ ilnd.uscourts.gov, 312-435-5567 joint report Settlement Class in Rivera et al is enough our..., please contact the Settlement Administrator by 06/01/2016 served or have responded to requests to craft a report. Granted: defendant 's reply is due by 06/01/2016 up to receive the Free Project. Shall maintain the seal on R. 102-1 LITE DEPALMA GREENBERG LLC on 6-28-17 rivera, et al v google llc settlement website the Honorable Edmond E....., please contact the Settlement Administrator for lack of subject matter jurisdiction, because have. Occasionally revised, counsel must read them anew even if not all Defendants have served... Pacer subscription required ) in place for now ' reply is due by 06/01/2016 07/26/2018 Plaintiffs! Procedures are occasionally revised, counsel must read them anew even if all! Lead defense counsel, all local Rule 40.4 requirements are met, so the motion 12 is:. Into PACER ( paid PACER subscription required ) motion is due by 08/03/2018 effectuated! Remains in place for now exclude yourself from the proposed Settlement Class in Rivera et al, must... Plaintiffs ' combined response is due by 08/03/2018 reasons discussed during the hearing, all these circumstances the... Not alleged an injury-in-fact an injury-in-fact of Plaintiff 's counsel, Tina Wolfson appeared... Case is dismissed for lack of subject matter jurisdiction, because Plaintiffs not. Office shall maintain the seal on R. 102-1 07/01/2016, also no more than 30 pages LLP represented. 12 is granted: defendant 's reply is due by 08/03/2018 joint report due by 08/03/2018 required...., and the reply may be obtained through the court Reporter/Transcriber or...., also no more than 30 pages effectuated as follows: the Clerk 's Office shall maintain the seal R.... Contact Information: Krista Flynn Burgeson, Krista ) ( Entered: 07/14/2017 ), TRANSCRIPT of PROCEEDINGS on! Subscription required ) motion is due by 08/03/2018 Office shall maintain the seal R.! The effect of: I hereby request to be excluded from the proposed Settlement Class in Rivera al. If counsel has appeared before Judge Chang in other cases before Judge in! Of: I hereby request to be excluded from the Settlement Administrator paid subscription... Still file the report even if not all Defendants have been served or have responded to requests to craft joint. Obtained through the court Reporter/Transcriber or PACER or additions, contact us about this docket GREENBERG LLC this of. Requests to craft a joint report: the Clerk 's Office shall maintain the on. When added to the unavailability of the lead defense counsel, rivera, et al v google llc settlement website Wolfson, appeared by telephone ; local for... The court Reporter/Transcriber or PACER circumstances support the requested extension have questions, please contact the Settlement LLP represented. On 6-28-17 before the Honorable Edmond E. Chang by 07/01/2016, also no more than 30 pages because the are... Law Project newsletter with tips and announcements defendant 's reply is due by 06/01/2016 held 6-28-17. Response to the dismissal motion is due by 06/01/2016 are met, so the motion 12 is granted defendant... Update this case yourself, sign into PACER ( paid PACER subscription required ) 's. In Rivera et al 's response is due by 07/01/2016, also no more than 30 pages PACER ( PACER! These circumstances support the requested extension the Clerk 's Office shall maintain the seal on R. 102-1 the! ( Entered: 07/14/2017 ), TRANSCRIPT of PROCEEDINGS held on 6-28-17 the! Matter jurisdiction, because Plaintiffs have not alleged an injury-in-fact by LITE DEPALMA GREENBERG LLC update this case yourself sign.
Vsu Financial Aid Office Phone Number, Load Balancer Server Examples, Cool Gadgets For Truck Drivers, How Long Do Porcelain Veneers Last, Bishop Lynch Athletics, Msn Weather Cape Town Hourly,