Free Motion for Status Conference - District Court of Federal Claims - federal


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Date: January 28, 2005
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State: federal
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Case 1:03-cv-02033-NBF

Document 26

Filed 01/28/2005

Page 1 of 2

IN THE UNITED STATES COURT OF FEDERAL CLAIMS COMMERCIAL CASUALTY ) INSURANCE COMPANY OF GEORGIA, ) ) Plaintiff, ) ) v. ) ) UNITED STATES GOVERNMENT, ) DEPARTMENT OF THE NAVY, ) ) Defendant. ) )

CIVIL ACTION FILE NO. 03-2033C (Judge Firestone)

PLAINTIFF'S UNOPPOSED MOTION FOR TELEPHONE STATUS CONFERENCE COMES NOW, Commercial Casualty Insurance Company of Georgia ("Commercial Casualty") and files this its Unopposed Motion for Telephone Status Conference, and states as follows: As described in Commercial Casualty's previous Motion for Continuance, and acknowledged in the Court's subsequent Order, on April 2, 2004, the Wade County Superior Court, State of North Carolina issued a Liquidation Order declaring Commercial Casualty Insurance Company of North Carolina be liquidated ("Liquidation Order"). The Liquidation Order invokes the process whereby a claims and submittal and evaluation system will be set up by the appropriate North Carolina officials. In addition, a process by which affirmative claims will be pursued and funds collected has recently been created. This process is extensive in both its procedures and requirements. Since the time of the parties' last report, progress has been made. Commercial Casualty has learned that the principal, FAS Development Company, Inc. ("FAS") has been discharged from bankruptcy. As a result, Commercial Casualty requests a telephone

Case 1:03-cv-02033-NBF

Document 26

Filed 01/28/2005

Page 2 of 2

status conference thirty to fourty-five days from the date of this Motion to discuss this matter. This Motion has been discussed with opposing counsel and no opposition will be filed. This 28th day of January, 2005. Respectfully submitted, THOMPSON & SLAGLE, P.C. s/DeWitte Thompson DeWitte Thompson Georgia Bar No. 707688 12000 Findley Road Suite 250 Duluth, Georgia 30097 (770) 662-5999 (770) 447-6063 Facsimile [email protected] Attorney for Plaintiff Dated: January 28th, 2005