1:25-cv-00106
| 日期 | 描述 |
|---|---|
| 2025-08-11 | ORDER granting [30] Letter Motion for Extension of Time to File Response/Reply. Defendants' reply papers shall be filed no later than August 25, 2025. (HEREBY ORDERED by Judge Jeannette A. Vargas)(Text Only Order) |
| 2025-08-11 | FIRST LETTER MOTION for Extension of Time to File Response/Reply as to [28] Memorandum of Law in Opposition to Motion addressed to Judge Jeannette A. Vargas from Kathleen M. Linnane dated August 11, 2025. Document filed by Eric Adams(in their individual capacities), Eric Adams(in their professional capacities), City of New York, Bill De Blasio, Bill De Blasio, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), New York City Police Department, Jay Varma(in their professional capacity), Jay Varma(in their individual capacities). |
| 2025-08-07 | ORDER: Pursuant to the Court's Order on July 14, 2025, ECF No. 27, Defendants' reply papers in further support of their Motion to Dismiss (ECF No. 20) were due on July 28, 2025. To date, Defendants have not filed their reply papers. As a courtesy, that deadline is hereby EXTENDED, nunc pro tunc, to August 11, 2025. SO ORDERED. (Replies due by 8/11/2025.) (Signed by Judge Jeannette A. Vargas on 8/7/2025) |
| 2025-07-21 | MEMORANDUM OF LAW in Opposition re: [20] FIRST MOTION to Dismiss. Document filed by Adam Grabhorn. |
| 2025-07-14 | ORDER regarding ECF No. 26. Plaintiff's request for an extension of time to file an opposition to Defendants' Motion to Dismiss, ECF No. 20, is GRANTED, nunc pro tunc. Plaintiff's opposition papers shall be filed no later than July 21, 2025. Defendants' reply papers shall be filed no later than July 28, 2025. (HEREBY ORDERED by Judge Jeannette A. Vargas) (Text Only Order) |
| 2025-07-07 | LETTER addressed to Judge Jeannette A. Vargas from Christopher Berlingieri dated 07/07/2025 re: Response to the Court's Order dated 07/02/2025 - from Plaintiff's counsel to show cause. Document filed by Adam Grabhorn. |
| 2025-07-02 | ORDER: Accordingly, it is hereby ORDERED that, no later than July 9, 2025, Plaintiff shall show good cause in writing why Defendants' motion should not be deemed unopposed. Failure to show such good cause (or otherwise indicate an intention to proceed with the lawsuit) may result in Defendants' motion being granted as unopposed or in dismissal of the case for abandonment or failure to prosecute pursuant to Rule 41 of the Federal Rules of Civil Procedure. (Signed by Judge Jeannette A. Vargas on 7/2/2025) |
| 2025-05-28 | ORDER with respect to [20] Motion to Dismiss. Accordingly, it is hereby ORDERED that, pursuant to Rule 5.I of this Court's Individual Rules and Practices in Civil Cases, by June 4, 2025, the non-moving party must notify the Court whether it intends to file an amended pleading or rely on the pleading being attacked. If Plaintiff elects to amend the complaint, Plaintiff shall file any amended complaint by June 11, 2025. If Plaintiff elects not to amend the pleadings, Plaintiff shall file any opposition to the motion to dismiss by June 11, 2025. Defendants' reply, if any, shall be filed by June 18, 2025. SO ORDERED. (Signed by Judge Jeannette A. Vargas on 5/28/2025) |
| 2025-05-19 | CIVIL CASE MANAGEMENT PLAN AND SCHEDULING ORDER: All parties consent to conducting all further proceedings before a United States Magistrate Judge, including motions and trial. 28 U.S.C. � 636(c). Any motion for leave to amend or join additional parties shall be filed no later than 21 DAYS AFTER MTD. Depositions pursuant to Fed. R. Civ. P. 30 and 31 shall be completed by the date set forth in paragraph 5(a). Deposition due by 12/31/2025. Fact Discovery due by 12/31/2025. This case is to be tried to a jury. (Signed by Judge Jeannette A. Vargas on 5/19/2025) |
| 2025-05-15 | FIRST MEMORANDUM OF LAW in Support re: [20] FIRST MOTION to Dismiss. Document filed by Eric Adams(in their individual capacities), Eric Adams(in their professional capacities), City of New York, Bill De Blasio, Bill De Blasio, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), New York City Police Department, Jay Varma(in their professional capacity), Jay Varma(in their individual capacities). |
| 2025-05-15 | Exhibit B - Podcast Transcript |
| 2025-05-15 | FIRST MOTION to Dismiss. Document filed by Eric Adams(in their individual capacities), Eric Adams(in their professional capacities), City of New York, Bill De Blasio, Bill De Blasio, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), New York City Police Department, Jay Varma(in their professional capacity), Jay Varma(in their individual capacities). |
| 2025-05-09 | ORDER denying [18] Letter Motion to Stay; denying [18] Letter Motion for Discovery. For the reasons stated on the record during the conference held on May 8, 2025, Defendant's Motion to Stay Discovery Pending Resolution of Defendant's Motion to Dismiss is DENIED. The Clerk of Court is directed to terminate ECF No. 18. SO ORDERED. (Signed by Judge Jeannette A. Vargas on 5/9/2025) |
| 2025-05-06 | FIRST LETTER MOTION to Stay addressed to Magistrate Judge Ona T. Wang from Yi Liu dated 05/06/2025., FIRST LETTER MOTION for Discovery addressed to Magistrate Judge Ona T. Wang from Yi Liu dated 05/06/2025. Document filed by Eric Adams(in their individual capacities), Eric Adams(in their professional capacities), City of New York, Bill De Blasio, Bill De Blasio, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), New York City Police Department, Jay Varma(in their professional capacity), Jay Varma(in their individual capacities). |
| 2025-05-02 | ORDER: rsuant to the Courts Order dated April 15, 2025, ECF No. 14, the parties were required to file a joint letter and proposed Civil Case Management Plan and Scheduling Order, the contents of which are described in the Courts Notice of Initial Pretrial Conference, ECF No. 6, by May 1, 2025. To date, the parties have not filed the joint letter and proposed Civil Case Management Plan and Scheduling Order. As a courtesy, that deadline is hereby EXTENDED, nunc pro tunc, to May 6, 2025. SO ORDERED. (Signed by Judge Jeannette A. Vargas on 5/2/2025) |
| 2025-05-01 | ORDER granting [15] Letter Motion for Extension of Time. The deadline for Defendant to respond to the Complaint is hereby EXTENDED, to May 15, 2025. Further extensions of this deadline will not be granted absent extraordinary circumstances. (HEREBY ORDERED by Judge Jeannette A. Vargas)(Text Only Order) |
| 2025-04-29 | THIRD LETTER MOTION for Extension of Time addressed to Magistrate Judge Ona T. Wang from Yi Liu dated 04/29/2025. Document filed by Eric Adams(in their individual capacities), Eric Adams(in their professional capacities), City of New York, Bill De Blasio, Bill De Blasio, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), New York City Police Department, Jay Varma(in their professional capacity), Jay Varma(in their individual capacities). |
| 2025-04-15 | ORDER granting [13] Letter Motion for Extension of Time. Defendants' request for an extension of time to respond to the Complaint is GRANTED. Defendants' response shall be filed no later than April 30, 2025. The initial pretrial conference previously scheduled for April 22, 2025, is adjourned to May 8, 2025, at 2:30pm. The parties are directed to submit the joint letter and the proposed Civil Case Management Plan and Scheduling Order, as described in ECF No. 6, by no later than May 1, 2025. (HEREBY ORDERED by Judge Jeannette A. Vargas)(Text Only Order) |
| 2025-04-07 | SECOND LETTER MOTION for Extension of Time addressed to Magistrate Judge Ona T. Wang from Yi Liu dated 04/07/2025. Document filed by Eric Adams(in their individual capacities), Eric Adams(in their professional capacities), City of New York, Bill De Blasio, Bill De Blasio, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), New York City Police Department, Jay Varma(in their professional capacity), Jay Varma(in their individual capacities). |
| 2025-03-20 | NOTICE OF APPEARANCE by Yi Liu on behalf of Eric Adams(in their individual capacities), Eric Adams(in their professional capacities), City of New York, Bill De Blasio, Bill De Blasio, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), New York City Police Department, Jay Varma(in their professional capacity), Jay Varma(in their individual capacities). |
| 2025-03-10 | ORDER granting [10] Letter Motion for Extension of Time. Defendants' request for an extension of time to respond to the Complaint is GRANTED. Defendants' response shall be filed no later than April 9, 2025. The initial pretrial conference previously scheduled for March 24, 2025, is adjourned to April 22, 2025, at 2:30pm. The parties are directed to submit the joint letter and the proposed Civil Case Management Plan and Scheduling Order, as described in ECF No. 6, by no later than April 15, 2025. (HEREBY ORDERED by Judge Jeannette A. Vargas)(Text Only Order) |
| 2025-03-06 | FIRST LETTER MOTION for Extension of Time to Respond to the Complaint addressed to Judge Jeannette A. Vargas from Shivani Damera dated 03/06/2025. Document filed by Eric Adams(in their professional capacities), Eric Adams(in their individual capacities), City of New York, New York City Police Department, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), Jay Varma(in their professional capacity), Jay Varma(in their individual capacities), Bill De Blasio, Bill De Blasio. |
| 2025-02-19 | NOTICE OF APPEARANCE by Shivani Reddy Damera on behalf of Eric Adams(in their professional capacities), Eric Adams(in their individual capacities), City of New York, New York City Police Department, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), Jay Varma(in their professional capacity), Jay Varma(in their individual capacities), Bill De Blasio, Bill De Blasio. |
| 2025-02-03 | WAIVER OF SERVICE RETURNED EXECUTED. Eric Adams(in their individual capacities) waiver sent on 1/9/2025, answer due 3/10/2025; Eric Adams(in their professional capacities) waiver sent on 1/9/2025, answer due 3/10/2025; City of New York waiver sent on 1/9/2025, answer due 3/10/2025; Bill De Blasio waiver sent on 1/9/2025, answer due 3/10/2025; Bill De Blasio waiver sent on 1/9/2025, answer due 3/10/2025; Tanya Meisenholder(in their professional capacity) waiver sent on 1/9/2025, answer due 3/10/2025; Tanya Meisenholder(in their individual capacities) waiver sent on 1/9/2025, answer due 3/10/2025; New York City Police Department waiver sent on 1/9/2025, answer due 3/10/2025; Jay Varma(in their professional capacity) waiver sent on 1/9/2025, answer due 3/10/2025; Jay Varma(in their individual capacities) waiver sent on 1/9/2025, answer due 3/10/2025. Document filed by Adam Grabhorn. |
| 2025-01-29 | NOTICE OF APPEARANCE by Shivani Reddy Damera on behalf of Eric Adams(in their professional capacities), Eric Adams(in their individual capacities), City of New York, New York City Police Department, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), Jay Varma(in their professional capacity), Jay Varma(in their individual capacities), Bill De Blasio, Bill De Blasio. |
| 2025-01-08 | NOTICE OF INITIAL PRETRIAL CONFERENCE: Counsel for all parties shall appear for an initial pretrial conference with the Court on March 24, 2025 at 2:00pm. The conference will be held in Courtroom 14C, Daniel Patrick Moynihan United States Courthouse, 500 Pearl Street, New York, New York 10007. Initial Conference set for 3/24/2025 at 02:00 PM before Judge Jeannette A. Vargas. (Signed by Judge Jeannette A. Vargas on 1/8/2025) |
| 2025-01-07 | CIVIL COVER SHEET filed. |
| 2025-01-07 | ELECTRONIC SUMMONS ISSUED as to Eric Adams(in their individual capacities), Eric Adams(in their professional capacities), City of New York, Bill De Blasio, Bill De Blasio, Tanya Meisenholder(in their professional capacity), Tanya Meisenholder(in their individual capacities), New York City Police Department, Jay Varma(in their professional capacity), Jay Varma(in their individual capacities). |
| 2025-01-06 | REQUEST FOR ISSUANCE OF SUMMONS as to THE CITY OF NEW YORK, NEW YORK CITY POLICE DEPARTMENT, TANYA MEISENHOLDER, JAY VARMA, MAYOR BILL DE BLASIO, MAYOR ERIC ADAMS, In their professional and individual capacities, re: [1] Complaint. Document filed by Adam Grabhorn. |
| 2025-01-06 | CIVIL COVER SHEET filed. |
| 2025-01-06 | Complaint |
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