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  • Velocity Investments , Llc Vs Page IainContract/Commercial Transaction document preview
  • Velocity Investments , Llc Vs Page IainContract/Commercial Transaction document preview
  • Velocity Investments , Llc Vs Page IainContract/Commercial Transaction document preview
  • Velocity Investments , Llc Vs Page IainContract/Commercial Transaction document preview
  • Velocity Investments , Llc Vs Page IainContract/Commercial Transaction document preview
  • Velocity Investments , Llc Vs Page IainContract/Commercial Transaction document preview
						
                                

Preview

CAM-L-002431-22 11/10/2022 Pg 1 of 1 Trans ID: LCV20223913665 Superior Court of New Jersey - Camden Vicinage COLLEEN LORE N.J. Courts Website HALL OF JUSTICE Trial Court Administrator http://www.njcourts.com/ 101 South 5th Street Camden, NJ 08103-4001 NICOLE M. SNYDER 856-650-9100 Civil Division Manager 856-650-2253 Fax November 10, 2022 RE: CAM-L-2431-22 Velocity Investment, LLC. Vs Iain Page Dear Counsel, Please be advised that this matter is part of the “Expedited Civil Actions” pilot program, and as such is subject to limitations on discovery, expert reports, and motion practice as well as trial procedure, as set forth in the “Notice to the Bar- Pilot Program for Expedited Civil Actions” found at http://www.judiciary.state.nj.us/notices/2015/n151119a.pdf . If you feel that this case in not appropriate for inclusion in this pilot, you may submit a “Letter of Intent” requesting removal from the program and stating the reasons. Consent of your adversary is sufficient reason for removal. “Letters of Intent” must be received at least one week prior to the scheduled management conference in order to be considered. You will receive notice via fax or email prior to the scheduled conference date, advising whether your removal request has been granted or denied. A Case Management Conference has been scheduled in this matter for December 9, 2022@ 11:00pm the parties will need to submit an email address for the Via Zoom hearing. All counsel shall attend, unless you have been contacted by the court that your removal request has been granted or unless a proposed Case Management Order is submitted and accepted as explained in the following paragraph. You may confer with your adversary and complete, sign and submit the enclosed Case Management Order (CMO). You will receive notice via return fax or email advising whether the conference has been canceled. Sincerely, Dedre Price, CSO1 Civil Division, Team 1 Dedre.Price@njcourts.gov 856-650-9100 ext. 43173 CAM-L-002431-22 11/10/2022 Pg 1 of 2 Trans ID: LCV20223913665 ORDER PREPARED BY THE COURT Velocity Investments, LLC. : : Superior Court of New Jersey Plaintiff : Law Division : Camden County : Vs. : Docket No.: CAM-L-2431-22 : : Case Management Order : Iain Page : : : Defendant : THIS MATTER having come before the Court for a case management conference on ______________, 20___, with _______________________________ appearing for the plaintiff, and ____________________________________, appearing for the defendant, and for good cause shown; IT IS on this ____ day of ______________________, 20___ ORDERED as follows: 1. This matter shall continue as a part of the Expedited Civil Actions Pilot Program, as no opt out from the program has been granted based upon a “Letter of Intent” requesting opt out. 2. The allotted discovery period for this case shall not exceed the discovery time periods allowed under the expedited program, which are 105 days for Track I cases and 195 days for Track II cases. 3. The parties shall exchange the following information by ______________, 20___. a. Names of individuals of likely to have discoverable information that may be used to support a claim or defense, and the nature of the that information; b. Copies of all documents, electronically stored information that the party has in its possession, custody or control that may be used to support a claim or defense; and c. Copies of any insurance agreements under which an insurance company may be liable to satisfy all or part of a judgment, or to indemnify or reimburse for payments made to satisfy the judgment. 4. Each party may serve no more than 15 interrogatories without subparts on or before ____________________. 5. Each party may serve no more than 10 requests for production of documents without subparts, on or before ____________________________. 6. Plaintiff’s expert reports shall be submitted by _________________________ 7. Defendant’s expert reports shall be submitted by ________________________. CAM-L-002431-22 11/10/2022 Pg 2 of 2 Trans ID: LCV20223913665 8. All fact depositions shall be completed by ____________________, 20 __. 9. All written discovery shall be completed by __________________, 20___. 10. All expert depositions shall be completed by the discovery end date. 11. Parties must meet and confer to resolve any discovery disputes. If unsuccessful, the parties shall send a joint written request to the court for an informal conference. The joint request must set forth the issue(s) in dispute; the parties met and were not able to resolve the issue(s); and the position of each party in no more than one page. Requests for an informal conferences on discovery disputes must be submitted no later than 21 days prior to the discovery end date. 12. Except for motions to opt-out of the Expedited Civil Actions Pilot Program and summary judgment motions, no discovery or procedural motions shall be filed without permission of the court. 13. Dispositive motions shall be filed no later than 10 days after the discovery end date 14. The parties shall meet and confer about trial procedures, and submit an expedited trial consent order. The expedited trial consent order shall be filed at least 10 date prior to the initial trial date. The form of the Order may be found at http://www.judiciary.state.nj.us/civil/forms/10877_consent_exp_trial.pdf 15. The Discovery End Date is May 7, 2023. 16. The Trial date is July 24, 2023. 17. IT IS FURTHER ORDERED that a copy of this Order be sent to all parties of record immediately upon receipt of the Order. ________ STEVEN J. POLANSKY, P.J.Cv.