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  • Duda, M.D., Francis J. vs. Baystate Medical Practices, Inc. Formerly Known As Baystate Medical Education and Research Foundation, Inc. Employment Discrimination document preview
  • Duda, M.D., Francis J. vs. Baystate Medical Practices, Inc. Formerly Known As Baystate Medical Education and Research Foundation, Inc. Employment Discrimination document preview
  • Duda, M.D., Francis J. vs. Baystate Medical Practices, Inc. Formerly Known As Baystate Medical Education and Research Foundation, Inc. Employment Discrimination document preview
  • Duda, M.D., Francis J. vs. Baystate Medical Practices, Inc. Formerly Known As Baystate Medical Education and Research Foundation, Inc. Employment Discrimination document preview
						
                                

Preview

COMMONWEALTH OF MASSACHUSETTS Hampden, ss. RAMBOEN CSSTY Superior Court Department LED Of the Trial Court Civil Action No.: 15-679 AUG 08 2018 FRANCIS J. DUDA, M_D., hie. fl Plaintiff CLERK OF CBUATS ) v. ) AFFIDAVIT OF COMPLIANCE WITH BAYSTATE MEDICAL PRACTICES, INC., ) SUPERIOR COURT RULE 9A f/k/a BAYSTATE MEDICAL EDUCATION ) AND RESEARCH FOUNDATION, INC., _) Defendant ) I, Mary J. Kennedy, attorney for the defendant, Baystate Medical Practices, Inc., f/k/a Baystate Medical Education and Research Foundation, Inc. (“Defendant”), pursuant to Superior Court Rule 9A(b)(2), hereby state as follows: 1. I am one of the attorneys of record for the Defendant. 2. On July 13, 2018 in compliance with Superior Court Rule 9A(b)(2), I served upon the plaintiffs’ attorney, Tani E. Sapirstein, Esq., Sapirstein & Sapirstein, P.C., 1331 Main Street, 2" Floor, Springfield, MA 01103, by hand delivery, a copy of Defendant’s Motion for Judgment Notwithstanding the Verdict or For a New Trial and Memorandum of Law in Support of Defendant’s Motion for Judgment Notwithstanding the Verdict or For a New Trial. 3. At the request of Ms. Sapirstein, I agreed to extend the time for plaintiff to serve his opposition to and including August 1, 2018. 4. On August 1, 2018, I received the Opposition of Plaintiff, Francis J. Duda, M.D., to Defendant’s Motion for Judgment Notwithstanding the Verdict or For a New Trial, the original of which is filed herewith. @2y5. On August 8, 2018, I served upon the plaintiff by hand delivery, the Defendant’s Reply Brief to Dr. Duda’s Opposition to Defendant’s Motion for Judgment Notwithstanding the Verdict or For a New Trial. 6. I have fully complied with Superior Court Rule 9A. Signed under the pains and penalties of perjury this 8" day of August, 2018. Dated: August 8, 2018 The Defendant BAYSTATE MEDICAL PRACTICES, INC., f/k/a BAYSTATE MEDICAL EDUCATION AND RESEARCH FOUNDATION, INC. By Its Attorney: Mary J. Kennedy; BBO No.552345 Jennifer K. Cannon; BBO No. 664431 Bulkley, Richardson and Gelinas, LLP 1500 Main Street — Suite 2700 Springfield, MA 01115 Tel: (413) 272-6242 Fax: (413) 272-6803 mkennedy@bulkley.com jeannon@bulkley.com Certificate of Service I, Mary J. Kennedy, attorney for Baystate Medical Practices, Inc., f/k/a Baystate Medical Education and Research Foundation, Inc., in this above matter, hereby certify that a true copy of the above document was served upon the attorney of record for the plaintiff by hand on August 8, 2018. 2978116v1 Mary J. “fk ;