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- flsd;;1:16-cv-23901_de342 RegisterActionDate "2019-08-13" @default.
- flsd;;1:16-cv-23901_de342 RegisterActionDescriptionText "PAPERLESS ORDER Setting Hearing on [311, 312] Plaintiff's Motion for Class Certification for 10/8/2019 at 09:30 AM in the Miami Division before Magistrate Judge Jonathan Goodman.In connection with the hearing on the motion for class certification, the parties may, by October 4, 2019, file under seal a list of 5 specific questions which they would like the Undersigned to ask opposing counsel at the hearing. The questions may be about the factual record, the law, exhibits, the arguments raised in the briefing or any other issue relevant to the Undersigned's analysis of the motion.To the extent that the questions (which should be precise and pinpoint) concern exhibits, the parties may attach relevant exhibits to the under-seal list of questions. However, the parties should not indiscriminately file massive numbers of exhibits, nor should they file exhibits which run on for dozens of pages. It is highly unlikely that the Undersigned will be inclined to review more than an extremely modest number of pages of exhibits attached to the questions.By providing this alternative, the Undersigned is by no means suggesting that a party should attach exhibits to the questions. In fact, it might be better to simply refer to exhibits already filed (assuming the exhibits are not voluminous but, instead, are manageable and capable of being reviewed in the brief gap between the filing of the questions and the hearing). Although the Undersigned will carefully review all questions submitted, the mere fact that a party submitted a question does not necessarily mean that the Undersigned will in fact ask that specific question (or any of the questions, for that matter). The Undersigned may ask a question, may modify a question, may combine the question with another or may decide to skip the question entirely.To alleviate any conceivable concern that this procedure constitutes some type of ex parte procedure, the Undersigned will read out loud on the record every optional question submitted under seal by the parties, regardless of whether I will actually ask each question.At the risk of stating the obvious (but I do so because other counsel in other cases have asked), the under-seal questions need not be served on opposing counsel and need not be publicly filed on CM/ECF. Signed by Magistrate Judge Jonathan Goodman on 8/13/2019. (km03) (Entered: 08/13/2019)" @default.
- flsd;;1:16-cv-23901_de342 AdministrativeID "334" @default.
- flsd;;1:16-cv-23901_de342 hasJudgeReference SJ003765 @default.