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- ncmd;;1:16-cv-00412_de323 RegisterActionDate "2017-07-29" @default.
- ncmd;;1:16-cv-00412_de323 RegisterActionDescriptionText "SEALED UNREDACTED DOCUMENTS Brief in Support of Inmar's Motion for Summary Judgment filed by Counter Claimants CARDINAL HEALTH MANAGED CARE SERVICES, LLC, CARDINAL HEALTH MANAGED CARE SERVICES, LLC, CARDINAL HEALTH, INC., LEADER DRUG STORES, INC., LEADER DRUG STORES, INC., MEDICINE SHOPPE INTERNET, INC., MEDICINE SHOPPE INTERNET, INC., Defendants CARDINAL HEALTH MANAGED CARE SERVICES, LLC, CARDINAL HEALTH, INC., LEADER DRUG STORES, INC., MEDICINE SHOPPE INTERNET, INC., Counter Defendants CAROLINA COUPON CLEARING, INC., CAROLINA COUPON CLEARING, INC., Plaintiff CAROLINA COUPON CLEARING, INC. re 279 Redacted BRIEF re 278 MOTION for Summary Judgment . (Attachments: # 1 Declaration Plus Exhibits)(DEAN, JAMES). (Attachments: # 1 Declaration of Denise De Mory, # 2 Exhibit 1 - Monroe Deposition Excerpts, # 3 Exhibit 2 - Presentation Titled "Commercial Technologoy Innovation Pitch Session" (Part 1 of 2), # 4 Exhibit 2 - Presentation Titled "Commercial Technology Innovation Pitch Session" (Part 2 of 2), # 5 Exhibit 3 - Email Chain Dated February 3, 2015, # 6 Exhibit 4 - Hoover 30(b)(6) Deposition Excerpts, # 7 Exhibit 5 - Email Chain Dated August 28, 2015, # 8 Exhibit 6 - Larger Deposition Excerpts, # 9 Exhibit 7 - Outlook Appointment Dated November 6, 2014, # 10 Exhibit 8 - Outlook Appointment Dated February 26, 2015 Attaching a Presentation, # 11 Exhibit 9 - Presentation Dated January 23, 2017 (Part 1 of 2), # 12 Exhibit 9 - Presentation Dated January 23, 2017 (Part 2 of 2), # 13 Exhibit 10 - Larger 30(b) Deposition Excerpts, # 14 Exhibit 11 - Excerpts of CAH 00517850-00518114 (Part 1 of 2), # 15 Exhibit 11 - Excerpts of CAH 00517850-00518114 (Part 2 of 2), # 16 Exhibit 12 - Smith Deposition Excerpts, # 17 Exhibit 13 - Smith Depo Exhibit 347 (Part 1 of 2), # 18 Exhibit 13 - Smith Depo Exhibit 347 (Part 2 of 2), # 19 Exhibit 14 - Email Chain Dated May 12, 2015, # 20 Exhibit 15 - Strayer Deposition Excerpts, # 21 Exhibit 16 - Email Chain Dated July 14, 2015, # 22 Exhibit 17 - Strayer 30(b)(6) Deposition Excerpts, # 23 Exhibit 18 - Hoover Deposition Excerpts, # 24 Exhibit 19 - Email Chain Dated January 7, 2016, # 25 Exhibit 20 - Monroe 30(b)(6) Deposition Excerpts, # 26 Exhibit 21 - Email Chain Dated January 7, 2016, # 27 Exhibit 22 - Email Chain Dated June 24, 2015, # 28 Exhibit 23 - Inmar's RFA and RPD Responses Dated April 3, 2017, # 29 Exhibit 24 - Document Dated March 14, 2016, # 30 Exhibit 25 - Harding Deposition Excerpts, # 31 Exhibit 26 - Brumbaugh Deposition Excerpts, # 32 Exhibit 27 - Document Dated September 14, 2016, # 33 Exhibit 28 - Harding 30(b)(6)on Excerpts, # 34 Exhibit 29 - Document Titled PSM Technology Spend, # 35 Exhibit 30 - Document Titled "Pharmacy Financial Management", # 36 Exhibit 31 - Schmidt 30(b)(6) Deposition Excerpts, # 37 Exhibit 32 - Excerpt from CAH-00518129, # 38 Exhibit 33 - Gerardi Expert Report Dated May 17, 2017, # 39 Exhibit 34 - Gerardi Deposition Excerpts, # 40 Exhibit 35 - Document Titled "Claims Reconciliation")(DEAN, JAMES) (Entered: 07/29/2017)" @default.
- ncmd;;1:16-cv-00412_de323 AdministrativeID "280" @default.
- ncmd;;1:16-cv-00412_de323 hasReferenceToOtherEntry ncmd;;1:16-cv-00412_de321 @default.
- ncmd;;1:16-cv-00412_de323 hasReferenceToOtherEntry ncmd;;1:16-cv-00412_de322 @default.