Free Motion for Conference - District Court of Connecticut - Connecticut


File Size: 64.0 kB
Pages: 3
Date: November 21, 2003
File Format: PDF
State: Connecticut
Category: District Court of Connecticut
Author: unknown
Word Count: 474 Words, 2,924 Characters
Page Size: 612.72 x 1008 pts
URL

https://www.findforms.com/pdf_files/ctd/22904/20.pdf

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» · Case 3:03-cv-OC&9§g·2EFD Document 20 Filed tgt?/5003 Page 1 of 3
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N UNITED STATES DISTRICT cou$ ii,. E D
p DISTRICT OF CONNECTICUT
Ztllll NOV I'I F? -li= U3
rm; AMERICAN BoA111t> or US DISTRICT COURT I
ANESTHESIOLOGY, INC., 1 Case {CFD) i
Plaintiff, i F i
JOHN STEPHEN NAULTY, l\/LD.,
Defendant. NOVEMBER 14, 2003
DEFENDANT'S MOTION FOR A SETTLEMENT CONFERENCE
Pursuant to Fed. R. Civ. P. 16 and Local Rule of Civil Procedure 1l(c), Defendant, John
Stephen Naulty, MD., hereby moves that a settlement conference be scheduled before Magistrate
Judge William l. Garfinkel.
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In support of this motion, Defendant represents as follows:
l. This action was commenced by means of a Verified Complaint in which Plaintiff
alleges that Defendant misrepresented to Yale University School of Medicine and the Yale Medicial
Group, his employer, that he is certified by Plaintiff in the subspecialty of pain medicine. The
parties do not dispute that Dr. Naulty is certified by Plaintiff in the specialty of anesthesiology.
Plaintiff seeks injunctive relief] damages and attorney’s fees.
2. Since early July 2003, the parties have been engaged in negotiations to try to resolve
this case. The resolution of this case involves a number of sensitive nomnonetary issues as well as
monetary issues.
3. This week, it became apparent that despite efforts by both parties to settle this case,
the parties are unable to resolve this matter on their own. Accordingly, Defendant requests that the
Court schedule a settlement conference before Magistrate Judge William I. Gartinkel. l
767767.DOC 1 3
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Case 3:03-cv-OQ?7)4-CFD Document 20 Filed 1 Kt/Yg)03 Page 2 of 3
WHEREFORE, Defendant requests that a settlement conference be conducted as soon as
possible before the parties undertake significant discovery or motion practice. !
DEFENDANT, \
JOHN STEPHEN NAULTY, M.D.
Carolyn . Kone, Esq. (ct06207) '
Bremer, Saltzman & Wallman LLP
His Attorneys
271 Whitney Avenue
P.O. Box 1746 ;
_ New Haven, CT 06507-1746 {
Telephone: (203) 772-2600 i
Fax: (203) 562-2098 E

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l Case 3:03-cv-OCQTA-CFD Document 20 Filed 1]7T7EP03 Page 3 of 3
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i CERTIFICATE OF SERVICE I
This is to certify that a true and accurate copy of the foregoing was served by United
States first—class mail, postage prepaid, this 14m day of November, 2003 upon:
Charles L. Howard, Esq.
Karen T. Staib, Esq. ,
Shipman & Goodwin LLP E
One American Row '
Hartford, CT 06103 I
I
Carol . Kone, Esq.


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