Majerczyk v. Menu Foods, Inc. - Document No. 34
Majerczyk v. Menu Foods, Inc. - Document No. 34
Majerczyk v. Menu Foods, Inc. - Document No. 34
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Case 1:07-cv-01543 Document 34 Filed 05/02/2007 Page 1 of 4
Pursuant to this Court’s instruction during the hearing on Plaintiff Amro’s Motion for a
Finding of Relatedness on April 26, 2007, and pursuant to this Court’s minute entry of April 26,
2007 (Dkt. #32), the Demith Plaintiffs respectfully submit this supplemental memorandum to
indicate their concurrence with the recommendation made in Plaintiff Amro’s Supplemental
For the reasons already expressed in Plaintiff Amro’s Supplemental Memorandum, this
Court should find that the five actions currently pending in the Northern District of Illinois
identified by Plaintiff Amro are related and should order the transfer of the actions to this Court.
Transfer of the related actions would serve judicial economy as a number of motions may
be noticed in these cases in the weeks preceding the Panel’s hearing on May 31, 2007 and
decision, most likely the following month. The hearing of all such matters by this Court would
Dockets.Justia.com
Case 1:07-cv-01543 Document 34 Filed 05/02/2007 Page 2 of 4
Respectfully submitted,
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Case 1:07-cv-01543 Document 34 Filed 05/02/2007 Page 3 of 4
CERTIFICATE OF SERVICE
John Blim
Jay Edelson
Myles McGuire (Of Counsel)
Blim & Edelson LLC
53 W. Jackson Blvd., Suite 1642
Chicago, IL 60604
Telephone: (312) 913-3400
Facsimile: (312) 913-9401
Gino L. DiVito
Tabet DiVito & Rothstein LLC
209 South LaSalle Street, 7th Floor
Chicago, IL 60604
Telephone: (312) 762-9460
Craig A. Hoover
Hogan & Hartson LLP
Columbia Square
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Case 1:07-cv-01543 Document 34 Filed 05/02/2007 Page 4 of 4
Via U.S. Mail with proper postage prepaid, this 2nd day of May, 2007.