On March 15, 2019 a
Order
was filed
involving a dispute between
and
for OTHER CIVIL
in the District Court of Franklin County.
Preview
Franklin County Ohio Clerk of Courts of the Common Pleas- 2022 Sep 02 3:46 PM-19CV002263
0GO70 - K96
IN THE COURT OF COMMON PLEAS
FRANKLIN COUNTY, OHIO
CASE NO, 19CV002263
COMPENSATION, et al
Plaintiffs, | JUDGE MICHAEL J. HOLBROOK.
ARX ADMINISTRATIVE
SES, LLC.
Defendant.
MOTION TO EXTEND DEADLINE TO FILE
BRIEFS IN OPPOSITIONS TO 1) SUPPLEMENTAL MEMORANDUM IN SUPPORT
OF MOTION FOR SUMMARY JUDGMENT 2) MOTION TO EXCLUDE TESTIMONY
OF MICHAEL S. MIELE AND 3) MOTION IN LIMINE TO PRECLUDE EVIDENCE
AND ARGUMENT REGARDING IRRELEVANT PBM INDUSTRY PRACTICES
Plaintiffs Ohio Bureau of Workers’ Compensation, Ohio Department of Administrative
Services, and the State of Ohio move this Court for an Order extending until October 10, 2022
the response time to Defendant’s Supplemental Memorandum in Support of Motion for
Summary Judgment; Motion to Exclude Testimony of Michael S. Miele; and Motion in Limine
to Preclude Evidence and Argument Regarding Irrelevant PBM Industry Practices.
The Plaintiffs respectfully request that the Court extend the deadline to file responses to
Defendants’ Supplemental Memorandum in Support of Motion for Summary Judgment; Motion
to Exclude Testimony of Michael S. Miele; and Motion in Limine to Preclude Evidence and
Argument Regarding Irrelevant PBM Industry Practices. Additional time is necessary in order to
thoroughly address for the Court those issues raised by the motions. Extending the deadline for
pre-trial motions will not upset any other deadlines in this matter and will ultimately facilitate a
more efficient process.Franklin County Ohio Clerk of Courts of the Common Pleas- 2022 Sep 02 3:46 PM-19CV002263
0GO70 - K97
For these reasons, the Plaintiffs respectfully request that the Court extend the deadline until
October 10, 2022 to file responses to Defendants’ Supplemental Memorandum in Support of
Motion for Summary Judgment; Motion to Exclude Testimony of Michael S. Miele; and Motion
in Limine to Preclude Evidence and Argument Regarding Irrelevant PBM Industry Practices.
Respectfully submitted,
/s/ Donald W. Davis, Jr.
Donald W. Davis, Jr. (#0030559)
Elizabeth Shively Boatwright (#0081264)
BRENNAN, MANNA & DIAMOND, LLC
75 East Market Street
Akron, OH 44308
Telephone: (330) 253-5060
Facsimile: (330) 253-1977
d i 3
Special Counsel for the Attorney General
of the State of Ohio
CERTIFICATE OF SERVICE
This is to certify that on this 2" day of September, 2022, a true and accurate copy of the
foregoing was uploaded to the Court’s electronic filing system. Notice of this filing will be sent
to all parties by operation of the Court’s electronic filing system. Parties may access the filing
through the Court’s system,
/s/ Donald W. Davis, Jr.
Donald W. Davis, Jr. (#0030559)
4870-3276-7793, v.1
Document Filed Date
September 02, 2022
Case Filing Date
March 15, 2019
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