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 |
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 |
Guido Padula Defendant Guido Padula 300 Rector Place New York, NY |
Guido Padula |
Dilva Salvioni Defendant Dilva Salvioni 350 E. 57th Street New York, NY |
Dilva Salvioni |
Angelo Taranta Defendant Angelo Taranta 100 Bay Place Oakland, CA |
Angelo Taranta |
Mannuccio Mannucci Defendant Mannuccio Mannucci 21 East 90th Street Apt 5A New York, NY |
Mannuccio Mannucci |
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) |