Case details

Court: nysb
Docket #: 11-02261
Case Name: Cabrini Medical Center- Adversary Proceeding
PACER case #: 216382
Date filed: 2011-06-17
Assigned to: Judge Allan L. Gropper
Demand: $2956176000

Parties

Represented Party Attorney & Contact Info
Cabrini Medical Center
Plaintiff
Cabrini Medical Center 227 East 19th Street New York, NY 10003 Tax ID / EIN: 13-5648609
Frank A. Oswald
Togut, Segal & Segal LLP One Penn Plaza Suite 3335 New York, NY 10119 212-594-5000 Fax : 212-967-4258 Email:
LEAD ATTORNEY

Guido Padula
Defendant
Guido Padula 300 Rector Place New York, NY
Guido Padula
PRO SE

Dilva Salvioni
Defendant
Dilva Salvioni 350 E. 57th Street New York, NY
Dilva Salvioni
PRO SE

Angelo Taranta
Defendant
Angelo Taranta 100 Bay Place Oakland, CA
Angelo Taranta
PRO SE

Mannuccio Mannucci
Defendant
Mannuccio Mannucci 21 East 90th Street Apt 5A New York, NY
Mannuccio Mannucci
PRO SE

Documents

Date Filed Document # Attachment # Short Description Long Description Upload date SHA1 hash
2011-06-17 1 0 Adversary case 11-02261. Complaint against Guido Padula, Dilva Salvioni, Angelo Taranta, Mannuccio Mannucci /Complaint to: (I) Declare that the Funds Subject to Each of the Defendant's Deferred Compensation Agreements Were and Always Remained Cabrini's Property; and (II) Declare that the Proofs of Claim Filed by Each of the Defendants be Allowed as General Unsecured Claims in the Amounts Scheduled by the Debtor. Nature(s) of Suit: (91 (Declaratory judgment)) Filed by Frank A. Oswald, Frank A. Oswald on behalf of Cabrini Medical Center. (Oswald, Frank) (Entered: 06/17/2011) 2011-10-19 12:39:44 54a1ce653146ec2d73b65f95c71954afa1ca5f22
2011-06-20 2 0 Summons with Notice of Pre-Trial Conference issued by Clerk's Office with Pre-Trial Conference set for 8/10/2011 at 09:30 AM at Courtroom 523 (AJG), Answer due by 7/20/2011, (Cockerham, Kevin) (Entered: 06/20/2011)
2011-06-27 3 0 Affidavit of Service /Affidavit of Service of (A) Summons and Notice of Pretrial Conference in an Adversary Proceeding and (B) Complaint to: (I) Declare that the Funds Subject to Each of the Defendant's Deferred Compensation Agreements Were and Always Remained Cabrini's Property; and (II) Declare that the Proofs of Claim Filed by Each of the Defendants be Allowed as General Unsecured Claims in the Amounts Scheduled by the Debtor (related document(s) 2 , 1 ) filed by Frank A. Oswald on behalf of Cabrini Medical Center. (Attachments: # 1 Service List)(Oswald, Frank) (Entered: 06/27/2011)
2011-08-18 4 0 So Ordered Stipulation (1) Consolidating Adversary Proceedings and (2) Scheduling Dates for Answers and Summary Judgment Motions signed on 8/18/2011; All Documents Should be Filed in Adversary Case No. 11-2407 (White, Greg) (Entered: 08/18/2011)