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P.I.: Other | Ohio Northern
Amended Complaint
Second Amended complaint against All Defendants and adding new party defendant(s) ESIS, INC. Filed by Lizz Smith. (Joseph, Joseph)
Status Conference
Minutes of proceedings[non-document] before Judge Pamela A. Barker. Telephone Status Conference held on 8/5/2026. Participating on behalf of Plaintiff was Attorney Joseph T. Joseph, Jr., participating on behalf of Defendant PNC Bank, N.A. was Attorney Crystal L. Maluchnik, and participating on behalf of Defendant Schindler Elevator Corporation was Attorney Torrin K. Treu. No one appeared on behalf of Defendant Ohio Bureau of Workers' Compensation ("OBWC"). Plaintiff's counsel advised that he agreed with Attorney Deborah L. Mack who filed an Answer to Plaintiff's Amended Complaint on behalf of OBWC that OBWC does not have a subrogation interest in this matter. He explained that Plaintiff worked for Allied Universal and its third-party administrator, ESIS, has the subrogation interest or claim. Plaintiff's counsel requested leave to file a Second Amended Complaint by August 12, 2026 to remove OBWC as a defendant and add ESIS as a defendant. Defendants' attorneys did not object and the Court granted Plaintiff's counsels request. Also, given the need to file a Second Amended Complaint, Plaintiff's counsel requested a 90-day extension of the fact discovery deadline, the deadlines for the exchange of expert reports and completion of expert discovery and the dispositive motion deadline. Defendants' attorneys did not object and the Court granted the request. Therefore, all fact discovery must be completed by December 15, 2026, the initial expert report(s) must be exchanged by January 31, 2027, the responsive expert reports must be exchanged by April 4, 2027, expert discovery must be completed by June 3, 2027 and dispositive motion(s) must be filed by July 1, 2027. Also, counsel for Defendants represented to Plaintiffs counsel that they would provide the responses to Plaintiffs discovery requests by August 17, 2026, and Plaintiff's counsel was agreeable to extending the deadlines for Defendants providing their respective discovery responses until August 17, 2026. Time: 30 minutes. (P,K)
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