Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

111
1 Judge Ana Viscomi, J.S.C. Master Motion List Motions Returnable ( 03 29 2018 ) Docket lh.546- 17 L-546- < :.. . . •. 17 . ,U,1JE1.fuic:l!flv.•Wfo · L-546- 17 ALDERDICE V. J&J L-546-iALDERDICE V. J&J 17 CONSUMER I:2,1370 17,. L-1370• 17 L-:1370 -17 ARENJ)V,B,.USTQL MYE~SQUIB~ ARE~V . .JMERYS ~NJ)V.WERYS ~!QS~ A,NE).OPP . r jnst: n . \ j;c'sz\,.r~~il'?sliiioil,J I l(d]S/25 I PHVERIC D. COOK PHV ERIC D. COOK ' JOJNDER. :rO ~it&~~•.;cf .• DISftlllSS F(ilf .F.QRUl;f NQN <>,QN'fENIENS S/J. XM-TOSEAL &OPPTO IM.ERYS 673 677 65 Drinker Biddle ISzaferman/Simon IGRANTED Drinker Biddle ISzaferman/Simon IGRANTED ~eriil.WSiiit~n YES: Rawle. Benders.in 8¢erin;lri,lSiinoil adj5/ll I Szafermail/Simo n.s n $zaferiilan/Simon •· . ~dj.5111

Transcript of Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Page 1: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

1

Judge Ana Viscomi, J.S.C. Master Motion List

Motions Returnable ( 03 29 2018 )

Docket

lh.546-17

L-546- < :.. . . •. 17 . ,U,1JE1.fuic:l!flv.•Wfo ·

L-546-17 ALDERDICE V. J&J

L-546-iALDERDICE V. J&J 17 CONSUMER

I:2,1370 17,.

L-1370• 17

L-:1370 -17

ARENJ)V,B,.USTQL MYE~SQUIB~

ARE~V . .JMERYS

~NJ)V.WERYS

~!QS~ A,NE).OPP . r jnst: n . \ j;c'sz\,.r~~il'?sliiioil,J I l(d]S/25 I

PHVERIC D. COOK PHV ERIC D. COOK

' JOJNDER. :rO ~it&~~•.;cf

.• DISftlllSS F(ilf .F.QRUl;f NQN <>,QN'fENIENS

S/J.

XM-TOSEAL &OPPTO IM.ERYS

673

677

65

Drinker Biddle I Szaferman/Simon I GRANTED

Drinker Biddle ISzaferman/Simon I GRANTED

~eriil.WSiiit~n

YES: Rawle.

Benders.in 8¢erin;lri,lSiinoil adj5/ll

I Szafermail/Simo n.s n $zaferiilan/Simon •··· .. ~dj.5111

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L-1370-

17 L-827-

17

L-1310 17

L-1370: 17.

L-1370-17

L0137 17

ARENDV.J&J

ARENDV. J&J CONSUMER

A,R.l!:NJ) V. ~VL•N

A,R.1!:ND V{WCD

ARENDV. WCD

AREND.V, °XVE/> ST. LAURENT

{->'.-'.'}I -_- - , ,

·.XM+Tci'&EAL • &OPP ii:i JB.J

PHVERIC D. COOK

PHV ERIC D. COOK

P.ISflt!ISS Fc,>ft f'ORUMNc,>~. CONVENIENS

·s1J

XM>TQ&EAL &•oPPTQ

Vl(CD

01.S!Vl!SS F.OR FORUIIIINON

'eoNVENl~NS

2

•·· .. ~«r.tsl1f 713

Drinker Biddle ISzaferman/Simon GRANTED

715 Drinker Biddle ISzaferman/Simon GRANTED

370

238 adj5/11

YES n: Szafer-,./Sinion adJ5/11

376 aawkinsP:arneql•··• Szllferinam'Stjl!rin adj,5/il

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L-5273 17

B:~W·f,wci> ' BIEBR~ERVtBORG··

WAIUil:ER

BOORV.ABP INDUCTION

S/J

Rl:C::9.~~J!)ij~ • ATION•A:N.C>:c ,. G'iiANT•§JJt

$/J PHV

CHRISTINA HARTLEY

L.-.. 9.· .. 6. ·.s· "J ,B ... UR .• T()N. y." .. AME.· .. •· .. RI ... GAN ,16_ ,· .... 1ND.USTRl"1,. . ii $.iIBSVC::

.L-900-. 14

CAIR<> \r; 3RD1'RTY 1• Ri:C(). N. SIO'ER DEFTWCD ,. ATION

L-~!°'" I CAiiU) VIN~RICAN. I A:MD CPT

L-900~1•· CAlRO V. Y.ARDVILLE. 14 , . .. SUPPLY $/J

3

Gibbons Szaferman/Simon

367·· , Tan!inl>aum

\\'\'? __ _:-->j: <;' //_<:5'

? ~oheli~la~itella

341 Maune Maune GRANTED

833. l~slsza(en,!1~£:.~vx .",dj_ 4/27

l96 ~~JIIoag)~nJ:i:;ongo adj5/4/j8

8.07 IXEStSzaf~ijnan!Levy I ·Szafem;,im!Levy l~c;!js/4/1$

62 IYES FomarQ'

Fritnciosti szaferman!L~vy adjS/11118

L-351:Z 17

CAru.SONV. BORGHESE

DISMISS.FOR tA:CK,OF

PEjRl>ONA:~ JURISDICTI0

N. I . 111 [YES Porzio , Szafen,!lan/Sfuio1C [lldJS/'18

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Li29lt 1.7_

L-2911 17

k2911 17

k2911 17

~aAi~~/\i~SF

c~y. CTPRUSIIMERYS

OfAl'M;Al'! V, CYPRUS/IMERYS

CHAl'MANV, PERSPN~Cm

.P~QDUCTI! (l'CPC)

1-,-~---:, ,' '/'''if>

,\~~rJ<Foff';. \/,:,,',',/,//'.<,\ /-\,_,,,',;,,,,'>,_,_-' ,1,

,IN' !;91)11)~~~11 1

F0RfAlfLURE •9G9MPL¥

WITFtS/P RECPNSlpER I

ATIQ.NOF ,2119/11

O~EROF DISMISSA.lc

-l<'.McSTR.l~E NEW&A.DDL E;VIQE!',ICEIN

,- _ li>Ef'l)'S .MOTIONFOR RECONSIDER

4

· ATION - I 1_1ss /wslLl!ltiir

QISMISS2~D AMD.CPT.W/

PREJFOR FAILURE TO

STATE A CLAI.M 42

McMahon­YES !Marijn¢

at.lj.S/11118

Lanie~ adjS(l!,J!S

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L, 2~~1' 11,

L-291'1-17

L· 7275, 12

L-6392 17

L­}103-15

·i~ui~~.~.:.--~eR.~QN~c1R.E •· · 1t~OJ?UP;r;SSP1Jt,1${L••• (PCPC}

12Dl~frltSS·FQR ~q~.9t •·· • .i )/··•••t. PE~~<:!t41~·

Cl;f~MANV,PNeUIIIIO .JURl§Pll}TIO · rASEX N

.COLI.AS V,UN.PE · MATERIAL

COVIL V. BORG WARi"IER

P.•~~O§Tlt,10 V­IAMERICAN BILTRltE

,APflE~ Rl;COMME:NP AJ'.)PNOF S.M.

S/J

SfJ

5

<.~•···· >/ .. ', , <',' ,' ',, ,_,, ',' , , ,

·• · • 1 i( / i ~awkiiti . JQ.'1 YES t>.ir11~11.

IJ57,'\'ES lc.andrriant~~ ii [i6t1(11 Pla~itella ladiS/11/ts

255 Tanenbaum Levy Konigsberg I GRANTED

j • jRa.wl~ i

142 .Y~s HenderJ>()rt•

1, .

· {~eitz ii{uke1111>oritladJ s111i1s

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'._';1,

L+546i 11

L· 48060 17

L· 48!)6-17 !DEFEO"· 3M

·&~1ij~f $', •. ,.1

)

1r0A:1 ei..iF··•.·.·•··.• .. ,. '#Asf i, •. •.

l.f;~E9µ···.!=N···;r·1.y •& ·· .. · .. · .

. · Rl=~u;~~~y 1:3(.l"OS!:ll ,;01 J l~s~ c~U~[) ·

giF~C"tlVE RESPIRATOR S.At,11) f;'ll,,l"ER~ 'SPLDBYMSA i:l!<Sf<;~Tl= ·•· ..

l•.··TM··· .•.· ·.AT···.·.·•.P.•.·.L .•. ·.· .. ·T•··· F.'.· WAS · FREQUENTLY &. REGULARLY . ,~f'cOSEDTO ASBCAl:JED BY Dplfl:CTIVE RESPIRATOR ISA."'1[) FILTERS so~p~y lcHARLESA: WAGNER

6

~djS/1811~

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L-5732-17

L> 6301-' 16 L" 6301. 1!> L, 6301-16

1., .... I. •··•·• .. 19.51-... · ..... ·.. .. . . < • 14 .. · OUDASHV .. CHEVRON L-3967-lt>t}SStAV.~ROCTER & 15 . GAMBLE

DISMISS FOR LACK OF PERSONAL JURISDICTIO

PROTl;CTIVE .. ORDER ,~MTO. COMPE;L;

L­~967, 15

·... . . T~F<:: .bus~IA;V.PROCTER & ··1s;All,ip1.ei & GAMBLE OPP

7

~~b!i~~~i~1:~ •

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L-932-17 I ETHERIDGE V. J&J

L· 6479• 1J

L.14<!4 17

FE~C.,1/l>b~.)ii~ENVINJ;'. µ\~~FOR· .. PARTS PERS.ONALJX'.

G~~o!S-N<>R'.t1f STELTON LUM)lE:r!

lNCl,ODE BANKRUPT

ENTITIE$0N · .•. · .... \(E~OICT

SHEET FOR . .t\,t.LpCATION OF. L,JABll:i!TY •

AMEl>IDED llilOTION.

8

762 ii--'')

McGjvney • Sz~fennii'.,vLevy adj4/27

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L.., 1.515-

17

L-

GARCIA"· ~Ri='NNtAG

1515-.[ GARCIA V. CYPRUS 17

L· 1515-1 G~ClAV. CYPRUS

17

i// ....... /(2?> .XM Sl=AtAND;f . ~PP'tii· ..

p'(P~iJS; UIIIERY~;}&..I~ . wco

s/J

SfJ.

.278 JYE~

278· !YES

9

Rawle Henderson

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L· 151$-

17

L, 1515-

17

L-7231 13

L-7231 13

L-7231 13

1rnft 13

. ;AR.CIA v. ,JIU

GAkc:iA\f.WCD

GATELY V. BRAND

GATELYV. DURAMETALLIC

GATELY V. FOSTER WHEELER

GAl'ELYv •. tEI'itm ELECTRIC

1~~1~i,i~e&;.1: C~Nl,!Jll.1~R; .

p1$M\S.§' 9~s 1~BASTO

.l.Olit-l§'()t-l'S BA~Y ..

. F'OWOER.

·•. $1.l

S/J

S/J

S/J

SIJ

i14

195

197

246

226

10

,-/,'},;}:?,­

corfhii:~r;Bid~1,·••

>!~~; a[i~,1~J · . · 11.ongp·

McGivney

McGivney

Tanenbaum

,sziJrritanfle adi~if1i1s

Locks GRANTED

Locks GRANTED

Locks GRANTED

'.ld15f;;

Page 11: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

L-7231 13

b ,68()5•

16

'"'"""''"'''''"=·'""••----~-

~i11~}(.;!,~ii~ CiU$i:PE

,_f'.:'.:~_:,_:, "''.' ,_<:i<')?-:-i',:j ;':

· ~i:r!tt~-·

. <iRAl3~y\/i.K1.Y:: CYPRUS

6$050 1.qRABOWSKIV, 11\IIERYS 16

L· 68ll5: I GRABOWSKIV.J&J

16

11

\;-(/:,,,,

•·~¥'It.! •. Henderrciri

YESl•Ra~li ·

S{J 'YES

DririkerBiddle lcotti,tPl~~itt.lla

Page 12: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

L, 291.9•

16 1-7

2919,c.v 16

L-. 2919·

16.

·a'"•···••••••••••••M"~"~-•a"""~S-------

. . . _._-? ···: fi:f \> :_:-\:--······.GR!;°C6 V'. ~dp•

~MJN OPP ro l\90~~~T~,.

. ~YPRU~,. jME~'lS,IJVCD

L- .. ·..• . ... .. . > • . •t • N-IP)~-1 1748f ···1;11::NRYVtBRE;Nlf(AG .s~EJ'Sl~~

17 I.EA.VETO

L· 1748;

17 HENRYlf. BRE:NNTA~

FII.E,AN Ar,n~Nl)E;P

CPTFORP~

~r,nTOSEAb PORJIONSOF PLTF'SOPP l"OCYftRUS

/IMERYS

YES

12

~he11 Placitella

,.;;

cohen·Pl~;~;f fa "-,' ·-· . adj5/1S.

Page 13: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

L-. 17'4lF

17 L-

1748-17

I,., 1746-

17

L-1748-

17

· H~JR#J;~)eJcis\ .. A.1111.P.X•i .. •

H&NRYV{r;~kvJ·••

HENRYV.J&J

HENRYY,J~<anjf>J&J CONS.UJ'111ER · ..

HENRYV. J&J CONSUMER

PHV ERIC D. COOK 720

13

f~~ ~~t1e.s\1<<•• ·•··••\,it\(;,?'; :·.i ·· · •· Henderson · ... Coh~n E,\~citella i

I \)1>2.;r \ .. · •;.y ···•····· .·····•. ve,s .. ~'lill'!ii < .. . x ..• f.,. 0 . Hende'rson CQl)~n~la¢ite)IJ

Drinker Biddle

:,,--__,-,,,_,<--ii<''_,:::,<:' '

Dtinker•Biddle·• '~~J!J!p11J;t~ili Drinker Biddle [Szaferman/Simon [GRANTED

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L· tof5:

16 L" 4862· 15

L,

HQ

0

&JJ~~J~;i~Q

4862" ··1' ,, < i 15. ,, HUGV.WCD

o,1:i~,;~,~P~ . . LA9~0F

~~R~QijAJ.. , JURISDICTIQ I

N'

'SIJ

14

alfl'5l1.1

. ladi,5125

siat~r;rnarllhl~Ji ' 1'itJfs1ls'

Page 15: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

i.;; /• ,4862'-1•15 t:'.$?,i• /11

·'-' ·. . . ), }' . ; 29$5• JACONIAV, AVOl'f

17

XP4,lfi§E:#'$ ... \:~i1ti .. ·

,pgs1~Ni'rr1>1& lllf~fEt~JAL~~.,· COt,ll'IPENTI~ \

L

Jjti,l\Il'si,FoR . \. ,·1· . . .. i > ·.. LACKO~ .

L165···l JO~SONY• ~J;;;R,JCAN pi;; .. ll .... &.O. • .. llj~.·.·• '707. 16 . · ··. l:NTL JURISDlCTIO

Ir.66Sl .. •i·.JOHN$0NV.· -~RICAN, 16 •. ··· ·· ' .. INTL

N:AN])FlljC

"VW . '~'"s

15

~awl,lnsPjjni~ll j~i;<f~*~~~Sirtio,h ,·•-·<

!!dj~l-4118

Ha-fyl<fus i>~&~n l~zilteori'a~Jiiii~i . j~d) sr1,111s

Page 16: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

l,-'(i650C, 16.

,lOHN~Ny. »~~J]A:Q

16

GRANTED

~$, ;oiii~#~if ' · · · M~crlicl!'.~11

Page 17: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

"'--"--""""'"'------=-·· -· --""'""'-~ _,._~-

~~.r> · .··. /.· .....•. • ..... · ····•··•· .. ·•·· •... · •.•· 19~1N~

L-66sJJ.,T9IJNS<lN.·V· • AMERI. ·.·.·. e.AN· .. ·.· · ... •· ... l'O·.·· .. ·R.·.J: •. ····~.<l • .N.·.•.· ... o.•.·•·Jf 16 \ · INTL .. • '•· •., COLGATE l>AL~OL:cy-E MOT~Oi!fl,OR

SI;/

XMIN ()P:Pfo L,66511 JO(JNSON.V.COLC.ATEI·· (;OLG.,\,TE

16 PALMOLIVE O MENNEN ;MENNEN.ANI) •·. . ·• ,· .. · . ·., .. ·.· ••.··TOSEA):,

L--66511 JOHNSON V,.CYPRUS 16 AMAX S/J

L,665 .. J• JOllNSQN.V.IM.EllYS · 16 · I TALC S/J

17

1$7 IVES 1·RinVle--,e:¢;.'de;~oir .·

11}2 · f Y:,ES IRa-,yl~ ,, a~nd;~rson

•v··=~·----••

lszaceriija."111$ll)t~n. l~dlS/16.

' Szaferman/SbJjoll

adjS/11/16

'!ldj 5/111:tlf .·•

Page 18: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

, .•.•.• ..f·•

1,,546: ···l't

,,,,,_ ,_,,,, ,,,_, ~;--,-,;,

J~~~bij0~.;do•

. • ... . •·.·· .... •···• ... ·· . . . . 1=>~91\7~~"!'1,VE! ·1.;. ii ........ ;, .••. (.//'.>q~o,~.~:

691$- ,!UJ<J~Y,,~E-4\ZER EAST .~t;l~~l,ll.1\1.§.RE.· ... ···• . 15' . . .. •· . . . h .. / Pi::l?<;)F Yi¢;'rQR!A

JUNG L-

6177- I IVACATE 17 KALASIN V. AVI AUTO DEFAULT

t-;:111j~AzAiiv. omt<> o}'NE

L-2881 14

KAZAR.Y V. J.W. GOODLIFFE

L-5.1651• KESSEER V. ~LSE.Y-16 • HAYES

L· 5165-

16

L-827-17

KESSLER V. F>.NEUMO .ABEX

LADUEV. J&J

SJ

SJ

sli

S(J

PHV ERIC D. COOK

18

.YES <bi .. · .. · .....

McGivney

235 O'Toole Scrivo I Cohen Placitella

50 IYES tw:ill>raiu~~· [WM:ntz®l~an Lawler

295 ,¥ESfHawkjns

Parnell 111/ilentz

.. ,,, ,',,

Jc11s/11

GRANTED

a<1f~111.rt~

GRANTED

acfjS/18

ad]S/11118

698 Drinker Biddle ISzaferman/Simon I GRANTED

Page 19: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

LADUEV.J&J CONSUMER

7336- I LASHLEY V. AMERICAN I PHV MICHAEL INTL GIAQUINTO

16

~~;r~i~,i.i;J~ . . '-W~!!\~ •

L,623· 17 IMACYV.COLGATE

'$/,f

IX114~pAL, ·•·· F!OR"F!Cl,NSOI' ClJF!"J> TO. .COLI.ATE MOTION.FOR $/J

l,623,,- .·. . .. / . > , 17 MACYV.CYPRUSAMAX!SIJ

19

701 Drinker Biddle ISzaferman/Simon I GRANTED

301 Hawkins Parnell

·.

Szaferman/Simon GRANTED

Sz.ite~lllilh:tsfm 1YES Ion . lszarermall[$i111on~dj.5/1a

R<lvile 1ssiYE:s !Henderson Szafen,;.in/Sim()n · • l~di s/4!1a

Page 20: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

L.,~i. i\ .• 17 MAC:Y V; J&J L-623-

17 IMAC:YV.J&J

!-'·6;!~;,. ···•··· .. ··· .• 17 .. . MAC'( V,JIVCD

:Ii-'•·•· ....... · •... ·. .! 07486• ll,f~l'J'V/B~Ef:Jl'ffAG'

17 NQRT:HAMJ;RICA L.• 4647-. 13 ... ·• IMARRAPOlllV .. l>FIZER

L-112 11 , mTll'll!lZ:V. IMJl:RYs

L-' ll2()1• . . . ··• . / 17 . ~'l'll'!ll:Z.V.lMir,RYS

20

Drinker Biddle ISzaferman/Simon I GRANTED

R.!=C.O~SJ~E:~ • . i 1·· • · .• .... r Mi:i:f toy .. 1Atf()(\I & S/J • . 399 :YES!:"Oeutsclt_ .

s/J XMTO:$~

oePJO· IMERY~

RaWle·

Szaferni;in/Sim.9 USltt

I . ~~f'e'f~:~1JIAfo~

'adfslts

Sza(~i-m>.1n/Si<11-on [adJ5/f.1

si~ferniii\!Sim<>il ··' laJ{stf1

Page 21: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

14120· 17

,.,,"''--"'"""•'""··

~±~iriz\r.~~J·

~1'JNJDzv:.wor SfJ L· 7484~ 17 ,MASON•v.a~~~N'rAG iAMDCPJ"

L-240. 3J~CJ}I:~.• ·•··•.•.·.•V .. ,.ALLl'I'l'E rs .. I . · BAS~T S!J

L-24031 MCDJ!;Rl\fID f· ~!' TITE 15 · . .BASKE'l.' S/J.

L•2403• 15 j MCDERMID v. CBS SlJ

----~-~· ·-· -·-· ----~,~·~····

21

.. 341 · b:Esl~~~~ey' I~ Co1te1,(l')llclt:elia ladj5l11\ .

341 IXES IMcGivney. I .. · Cobe11;1.'Ja,citella jadjS/111

337 1 YES lia11enb~~~ Cob.~ Pili'¢itella ·· laclj .5/18

Page 22: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

1-2a .. 0J1 M<:R'E,-wm·.· ·•···•·•·· ... •··Y;fosrn'.R 15 .···. ··•··. WHEELER

I,02403

15 MCPERMO} Y.

ot.NE~ti:tcriu1:

L-24031 ··. MCDERMIDV, 15. INDUSJI'IUAJ/WELDING

1r 1:i,.s2j MO()Q v,$~ORT 12 LUMBER

L-7152- I MOORE V. R.T. 12 VANDERBILT S/J

·-------•>•---~---·-

22

1lc1J~,1~1/

. <;~libi.~l~liltellif i~li/18

S/J to~~n:t1~ci~lla. . ·· l!_ajli/18

SI.J 144 McGivn~y Szaferman/Levy !adj 5/11

321 O'Toole Scrivo ISzaferman/Le· GRANTED

Page 23: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

k ··..... ! y}:Icf t,,;\,;;f~' 2464- • .l?RlilVlf,,I~(! v.,< .t7 .•·. · • IMERYS,.

ti64: l~~J~~;~i~." 1~ · tiMERYS., •

l· .••·•···••· >; / ••• < 2464- PROXl'(~ZI\IIICfV .. . 11 · IMER'is > .

L-2464-

17

l• .· ... /J • 2464- PRC!V'INZAf,,IOV. JiJ 1'! .• ~ONSUMER L-827-1 PROVIIIIZANO V. J&J

17 CONSUMER

l· 5572, 16

e:•vE~V£s~M6rltt ~li~N~ · CONOOMINJUM ·.

PHV ERIC D. COOK

SIJ PHVERIC D.

COOK

lstltlKE FQR NP DISCOVERY

23

Ji ~;;~~~m~~r~i~ .·...... (·. L')·c YES .on Szaferman/Simoo lldi5/25

726 Drinker Biddle I Szaferman/Simon GRANTED

k s:tafe11T1an/sim~n adj 5125

Drinker Biddle [Szaferman/Simon GRANTED

181 l

~a1d~II

~~2:f!~• I··• .. <,i>

Wilen~

Page 24: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Ls 5902~· 16 L-5902, 11f

L< ,590,?-16· .......

L• 5902;.

,.SABATEL.Lt\V/lMERYS

16 isABATl=LL! V, J&J L• .5902" 16 ISABATl:LLIV. J&,I

S/J Xiv)}N ()~f' TO. J&J.ANDTO $EAL.,

L. 5902" 16 lsABATEt.irvLwco · . ·• JsiJ

24

86lv1:s.loriitl<E!~!;lid~I~. [sz~~l"~ai)~evy

Sz,ifi!mia:11/Ley 'YE$b

I · 1Hi1.~sti!11c1 • i,'.li)~S _Longo

...... · •.•. ·· .. ,:<.-:-.·.-::-.-;::·/ .•. :.r .... ··.;_.·.·.•.·.·.·.-:,.:: ... :.-, ... •.• .. Sz11ferrna~/Levy

Page 25: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

7305- !SAVAGE V. AIR & 15 LIQUID L-7305- I SAVAGE V. ALLIED 15 BUILDING L-7305-15 L-

17305-15

SAVAGE V. ALLIED GLOVE

5:,__::>',,,i:,>--_,,--/',':,,

SAVAGBV.~T:&'r

L . ... . >i / ./ 1;~5: · SA\\!~~~,v,.B.AXQNhl$··. 15 •·•·· PLBG'~

L• • . .• /. r .. • • . • 7305-, SAVA\~l:;\(ZBER~Ehl 15. .INl>t/S'rRIAli L-7305-15 L· 7305-15 L-7305-15 L-7305-15

SAVAGE V. BINSKY & SNYDER

SAVAGE V. BRAND

SAVAGE V. CALON

SAVAGE V. CBS

S/J

S/J

S/J

S/J

S/J

S/J

S/J

25

219 Wilbraham Cohen Placitella GRANTED

192 McGivne Cohen Placitella GRANTED

Swartz

>Jiidt~~~· ~tf\> c<>rr ./, Cohen Placitella ladj5/25z

107 McGivne· Cohen Placitella I GRANTED

176 McGivne Cohen Placitella GRANTED

64 Hardin Kundla I Cohen Placitella GRANTED

0 Tanenbaum Cohen Placitella GRANTED

Page 26: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

26

.. -~4:t~'! i~J;'/ 0 o/g. }11 ;x\°C;{ t·2 c: ;;~'.{~;~ 2 ·• • ;.,•; ; ,: ·••·· • '}Ir ; 'i!iC~~ > :1;)§1~\< ;< .. ·.·.• ;. > ... if>< > .•••• ~~rii~~ i{}c .. •0 ·······•·· ••·•. !?i;~0 . . .. •·· (;\; i /;;••t •i~i. .. iii .. ::i:, :\;)'._,,, •• •.o<+..o •• .

L-7305- SAVAGE V. CENTRAL Margolis 15 JERSEY SUPPLY S/J 71 Edelstein Cohen Placitella GRANTED L-7305-15 SAVAGE V. DAP S/J 177 McGivnev Cohen Placitella GRANTED L-7305- SAVAGE V. ELIZABETH 15 INDUSTRIAL S/J 179 Tierney Cohen Placitella GRANTED L- DISMISS AS 7305- INCORRECTL McElroy 15 SAVAGE V. EMERSON YSUED 89 Deutsch Cohen Placitella GRANTED L- SAVAGEV. 7305- FLOWSERVE 15 DURIRON) S/J 178 McGivney Cohen Placitella GRANTED L-7305-15 SAVAGE V. FMC S/J 251 Kellev Jasons Cohen Placitella GRANTED L-7305- SAVAGE V. FOSTER 15 WHEELER S/J 232 Tanenbaum Cohen Placitella GRANTED

L· <> i~'!!A,qe,xIJe~t~t:•· ..

~-~f \'/} .•. •• 1

si~f~~{I.:Ji ;i• < <}i .. · .. • .... · . ·• ••• • • ••

7305- // i.i • Ii • :/::,,-- -_::y/{) __ .(-<::/;:t·:-d:J .\/ :--· ,__ .... ·•· .. / <· .. 15 ··•·• ElECTRI¢• •. ii • • · SI J. . ·• • 22'4

I• :•

•adi 5/25• i ': < Cohen Plitci.tella · · L-7305- SAVAGE V. GREEN 15 TWEED S/J 216 Wilbraham Cohen Placitella GRANTED L· 7305-15 SAVAGE V. H.M.ROYAL S/J 72 Styliades Cohen Placitella GRANTED L-7305- SAVAGE V. INGERSOLL Pascarella 15 RAND S/J 250 Divita Cohen Placitella GRANTED

Page 27: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

L . .• +

1;05° · ~~Y~i!,,{Mq~~i:;:·· 15 BROS L-7305-15 L-7305-15 L-7305-15 L-7305-15

SAVAGE V. RARITAN SUPPLY ls1J SAVAGEV. SAFEGUARD INDUSTRIAL IS/J

SAVAGE V. SUPERIOR WELDING IS/J

SAVAGE V. WARREN PUMPS S/J

--·•-•··--"----·

27

170 McGivne Cohen Placitella GRANTED

102 McGivne· Cohen Placitella GRANTED

74 Connell Fole Cohen Placitella GRANTED

Marshall 63 Cohen Placitella GRANTED

L--3519.•

16 S1'.ASK!l'Y,INO:RCA REcof.l~iP~Rrr 9f2

ATION

L- <_ ,;· c,.. . ·•• .·· • <' • 7249· J"EUS¢HERV. IMERYS 16 TAL<;, ..

L· 7249• jt1;u_ •• si~ER V. 16 BR,ENl'tTAG L• 7249• 16 ltEUSCHER,Y.J&J

L· 7249• 16

''retjstjHe°R v; BREl'tNTAG

S/J

IXM to SEAL, together with opptoJ&J

r . ·•·l ... >f~~;,~>.·· ~S.!Hettderson•· .. la'di 5/4/'fa

$~afe\.-ma.n/S1rit I'/ . · > ; 'YES' Ion · • 5 Szaferman/Simoit l!!fj 5/4113

185IYES)PrinkerBiddlli ls¾afli!'rrnari/Si111on ladj5/4Liif:

~11f¢rrna.ri!Sim 1· · . . . ·. i • j YES Ion · Szaferman/Srmon acifsJ,111.a

Page 28: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

7249-16 !TEUSCHER V. J&J L-7249-

t/< 4~9,11~ _15 -- l+h+t "1'/ ,;., l., 4190" 15

L-41911" 15

_L· 4190• 15 L-4190-15 L­'45O4·

-~--

t O'Fij 'l{-lNt>VSt:~iAi,; ijl:>~[>,11'-t~f ~ --- -CAABORI.INOUM

IJ:qi~ V.INGERSctl.l. _RAND

TOTH V. ~OHA.NSEN

16 [Yt.JRCHAKV. NOR.CA 1.- - ,- -- -- -- • ~()~L,O(l\l'.. -•-

2;~0, COLGATE PAtM01'JVE -

PHV ERIC D. COOK

-- - S/J

28

670 Drinker Biddle ISzaferman/Simon I GRANTED

fai±esdliil¢kPir<> - rk~~rt¼ ~aw acf1c.5)25

sfaf~rirta:~1l.~-

Page 29: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Jack N. Frost, Jr. (State ID No. 025312005) DRINKER BIDDLE & REATH LLP A Delaware Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson

GINA M. ALDERDICE and ANDREW C. ALDERDICE,

Plaintiffs,

vs.

BRENNTAG NORTH AMERICA, INC., et al.,

Defendants.

F1teo MAR 2 9 2018

ANA C. V1scoM1 ,J.s.c.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-0546-17 AS

CNILACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson, for an Order admitting Eric D. Cook, Esq., pro hac vice, and

the court having considered the submissions of the parties, and for good cause having been

shown:

n r-<-\-h (\f\ h IT IS this ,l--- 1 day of ace, , 2018 ORDERED that Eric -~---- -~--------

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson,

subject to the following conditions:

91423075.1

Page 30: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

1. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson and this matter involves complex product liability issues to which Mr. Cook is a

specialist;

2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. 1 :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D.Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (10)

days, pay the fees required by R. 1 :20-l(b), R. 1 :28-2 and R. 1 :28B-l(e) and submit an affidavit

of compliance;

2 91423075.1

Page 31: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Jack N. Frost, Jr. (State ID No. 025312005) DRINKER BIDDLE & REATH LLP A Delaware Limited Liability Partnership 600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson Consumer, Inc.

GINA M. ALDERDICE and ANDREW C. ALDERDICE,

Plaintiffs,

vs.

BRENNT AG NORTH AMERICA, INC., et al.,

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-0546-17 AS

CNILACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson Consumer, Inc., for an Order admitting Eric D. Cook, Esq.,

pro hac vice, and the court having considered the submissions of the parties, and for good cause

having been shown:

IT IS this _'2~t-~_h __ day of Mcie-ch.. 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson

Consumer, Inc., subject to the following conditions:

1. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson Consumer, Inc., and this matter involves complex product liability issues to which

Mr. Cook is a specialist;

91423075.I

Page 32: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. 1 :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D. Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (10)

days, pay the fees required by R. 1 :20-l(b), R. 1 :28-2 and R. 1 :28B-l(e) and submit an affidavit

of compliance;

9. The pro hac vice admission of Eric D. Cook, Esq. will automatically te1minate for

failure to make the initial and any annual payment required by R. 1 :20-1 (b ), R. 1 :28-2 and R.

1 :28B-l(e);

10. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

2 91423075.1

Page 33: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made ',\,-

no later than February-~ of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel ofrecord within seven (7) days of the date hereof.

This Motion was:

__ Opposed

~Unopposed

91423075.l

Honorable Ana Viscomi, J.S.C.

3

Page 34: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Jack N. Frost, Jr. (State ID No. 025312005) DRINKER BIDDLE & REATH LLP A Delaware Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson

BARBARA AREND,

Plaintiff,

v.

BRENNTAG NORTH AMERICA, INC., et al.,

Defendants.

FILED MAR 2 9 2018

ANA C. VISCOMJ, J.s.c.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-1370-17 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson, for an Order admitting Eric D. Cook, Esq., pro hac vice, and

the court having considered the submissions of the parties, and for good cause having been

shown:

IT IS this _2:-"=-0\--'·'--\-_h __ day of _ _:_{\f\__._--'-"Q.=c-,_,,c..,\'.'.\_,,_ __ ,, 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson,

subject to the following conditions:

91423055.l

Page 35: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

I. Eric D. Cook, Esq. has a ptior existing attorney-client relationship with Johnson

& Johnson and this matter involves complex product liability issues to which Mr. Cook is a

specialist;

2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. 1 :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may atise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D.Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Etic D. Cook, Esq. cannot be designated as ttial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (10)

days, pay the fees required by R. 1:20-l(b), R. 1:28-2 and R. 1:28B-l(e) and submit an affidavit

of compliance;

2 91423055.l

Page 36: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. 1 :20-1 (b ), R. 1 :28-2 and R.

1:28B-l(e);

10. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made

no later than February 'k of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel of record within seven (7) days of the date hereof.

This Motion was:

_j>pposed

_V_ U Unopposed

91423055.1

~ c. Honorable Ana Viscomi, J.S.C.

3

Page 37: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Jack N. Frost, Jr. (State ID No. 025312005) DRINKER BIDDLE & REA TH LLP A Delaware Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson Consumer, Inc.

BARBARA AREND,

Plaintiff,

v.

BRENNTAG NORTH AMERICA, INC., et al.,

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-1370-17 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson Consumer, Inc., for an Order admitting Eric D. Cook, Esq.,

pro hac vice, and the court having considered the submissions of the parties, and for good cause

having been shown:

n,, ",....\,h "f\ · IT IS this __ :k __ V\_.__ 1 _day of_,_/.-Y---'l~___,,_D= .. '°~C='~h~--~' 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson

Consumer, Inc., subject to the following conditions:

1. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson Consumer, Inc., and this matter involves complex product liability issues to which

Mr. Cook is a specialist;

91423055.1

Page 38: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. I :20-1 and R. I :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D. Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (I 0)

days, pay the fees required by R. 1:20-l(b), R. 1:28-2 and R. l:28B-l(e) and submit an affidavit

of compliance;

9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. I :20-1 (b ), R. I :28-2 and R.

l:28B-l(e);

I 0. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

2 91423055.l

Page 39: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made

~ no later than February j;5:.of each year; and

I 1. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel ofrecord within seven (7) days of the date hereof.

This Motion was:

_ppposed

_V_ U Unopposed

91423055.1

. \ i c· . i •

(= ~~- __ . r_ lJ c1u,rn/'-' Honorable Ana Viscomi, J.S.C.

3

Page 40: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

GIBBONS, P.C.

j So/7-1? /0 z

By: Robert D. Brown, Jr. (NJ ID No.: 033131998)

J::11..i:'o MAR

One Gateway Center Newark, New Jersey 07102-5496 (973) 596-4500 Attorneys for Defendant CEMEX Materials LLC

LEROY R. BAKER, JR., Individually and as Expected Administrator and

Administrator ad Prosequendum for the Estate of DOLORES L. BAKER, Deceased,

Plaintiff

v.

ANOVA HOLDING AG, et al.

Defendants

-'IN,4 l !I 20/IJ c, 0sco,w1.

,J.s.c SUPERIOR COURT OF NEW JERSEY

LAW DIVISION: MIDDLESEX COUNTY DOCKET NO. MID-L-1132-16 AS

- Asbestos Litigation -

Civil Action

ORDER GRANTING SUMMARY JUDGMENT IN

FAVOR OF DEFENDANT CEMEX MATERIALS LLC

This matter having come before the Court on Motion of

Gibbons P.C., attorneys for Defendant CEMEX Materials LLC, and

the Court having reviewed the moving and opposition papers, if

any, and for good cause shown; 0'"\,,,ch

IT IS on this day of Oeteber, 201~

ORDERED that Defendant CEMEX Materials LLC's Motion for

Summary Judgment is hereby granted and the Complaint, and any

amendments thereto, together with any Cross-Claims and

Counterclaims, are hereby dismissed with prejudice; and

ORDERED that a copy of this Order shall be served on all

counsel within seven (7) days of the date hereof.

Opposed _L Unopposed

CL-cJ~· HQXl .. Ana Cd hV:i,scorni., J.

1,. s,1 C.

"'Having rev1ewe t e aoove mouun, I find 1 to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore wlll be granted essentially for the reasons set forth In the moving papers."

Page 41: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Lj {

Clayton Thompson, Esq. - 040112011 MAUNE RAICHLE HARTLEY FRENCH & MUDD, LLC 659 Eagle Rock Ave, Suite 28 West Orange, NJ 07052 (800) 358-5922

150 West 30th Street, Suite 201 New York, New York 10001 (800) 358-5922

Attorneys for Plaintifls

GEORGE BOOR and MARGARET BOOR,

Plaintiffs

vs.

ABP INDUCTION, LLC successor in interest to Pillar Induction Company , et al

Defendants

FILED MAR 2 9 2018

ANA C. VISCOMJ, J.S.C,

SUPERIOR COURT OF NEW JERSEY LAW DIVISION, MIDDLESEX COUNTY

DOCKET NO. MID-L-5273-I?AS

Civil Action - Asbestos Litigation

ORDER GRANTING PLAINTIFFS' MOTION TO ADMIT CHRISTIAN

HARTLEY, ESQ.

THIS MATTER HAVING COME before the coutt by Plaintiffs, George and Margaret

Boor, by and through their attorneys, Maune Raichle Hartley French & Mudd, LLC, for an Order

admitting CHRISTIAN HARTLEY, an attorney admitted to the practice oflaw in the States of

South Carolina, Minnesota, Washington D.C, and Texas, to appear and pmticipate with other

counsel for Plaintiffs in all phases of the litigation and for Mr. Hartley's long standing attorney­

client relationship shown,

, &1~ .AA IT IS on this ~1 day of I Y \Cl ,e,i,--\, 20 I 8,

Page 42: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

ORDERED as follows:

(i) THAT CHRISTIAN HARTLEY, Esq. is hereby admitted pro /we vice in the

above-captioned matter, pursuant to R. I :21-2;

(ii) THAT Mr. Hattley shall abide by the New Jersey Coutt Rules including all

disciplinary rules;

(iii) THAT Mr. Hattley shall consent to the appointment of the Clerk of the Supreme

Coutt as an agent upon whom service of process may be made for all actions

against him that may arise out of his patticipation in this matter;

(iv) THAT Mr. Hattley shall notify the Coutt immediately of any matter affecting his

standing at the bar of any Coutt;

(v) THAT Mr. Hattley shall have all pleadings, briefs, and other papers filed with the

Court signed by an attorney of record authorized to practice in this State, who

shall be responsible for them, the conduct of the cause and the admitted attorney

herein;

(vi) THAT Mr. Hartley cannot be designated as trial counsel;

(vii) THAT no discovery, motion, trial, or any other proceeding delay shall occur or be

requested by reason of the inability of Christian Hartley to be in attendance;

(viii) THAT Mr. Hattley must, within ten (10) days, pay the fees required by R. I :20-

1 (b)/4111d R. I :28-2 and submit an affidavit of compliance; (\. \',2.<i;IJ --:i(t:-j l

(ix) THAT automatic termination of Pro Hae Vice admission shall occur for the

failure to make the required payment of the annual fee to the Lawyer's Assistance

Fund and the NJ Lawyer's Fund for Client Protection. Proof of such payment,

after filing proof of payment, shall be made no later than February 1 of each year;

Page 43: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

(x) THAT non-compliance with any of the terms of this Order shall constitute

grounds for removal; and

(xi) THAT a copy of this Order shall be served on all parties within seven (7) days of

the date hereof.

------,l5pposed

_ ___::_ ✓- lJ Unopposed

a ~ ),_ C.()~-Hon. Ana C. Viscomi, J.S.C.

Page 44: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Maryam M. Meseha Attorney I.D. No: 013982011 TANENBAUM KEALE LLP One Newark Center, 16th Floor Newark, New Jersey 07102 (973) 24 2-0002 Attorneys for Defendant,

BorgWarner Morse TEC LLC

JUDITH COVIL,

Plaintiffs,

-against-

AVON PRODUCTS, INC., et al.,

Defendants. :

A,/4::i..~ -4,1t4 C !J 20/IJ

. Vis. Cq/v

SUPERlOR COURT OF NEW 1iifSEY LAW DIVISION: MIDDLESEX COUNTY DOCKET NO. MID-L-6392-17AS

Civil Action

ORDER GRANTING BORGWARNER MORSE TEC LLC'S MOTION TO DISMISS

THIS MATTER having come before the Court on Motion of Tanenbaum Keale LLP,

attorneys for defendant BorgWarner Morse TEC LLC (hereinafter "BorgWarner"), and the Court

having reviewed the moving and opposition papers, if any, and for good cause shown;

IT IS ON THIS '2.c:y\-h day of~(y\ __ l~"~f~L_h.~------' 2018,

ORDERED that the motion of Defendant, BorgWarner to dismiss is hereby granted, and

the Complaint and any Counterclaims and Cross-Claims are hereby dismissed with prejudice;

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

of the date hereof.

83017922vl

G' c.Jui-__, Honot~:;;t;Zm C. Viscomi, J.S.C,

"Having reviewed the above motion, I find it to be meritorious on Its face and is unopposed. Pursuant to R.1 :6-2, It therefore will be granted essentially for the reasons set forth In the moving papers."

Page 45: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Maryam M. Meseha Attorney I.D. No: 013982011 TANENBAUM KEALE, LLP One Newark Center, 16th Floor Newark, New Jersey 07102 (973) 242-0002 Attorneys for Defendant, BorgWarner Morse TEC LLC, successor-by-merger to Borg-Warner Corporation

SANDRA DOCKERY AND LOREN DOCKERY,

Plaintiffs,

-against-

BORGWARNER MORSE TEC LLC, et al.,

Defendants. :

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY DOCKET NO. MID-L-5732-17AS

Civil Action

ORDER GRANTING BORGWARNER MORSE TEC LLC'S MOTION TO DISMISS

/:

THIS MATTER having come before the Court on Motion of Tanenbaum Keale LLP,

attorneys for defendant Borg Warner Morse TEC LLC (hereinafter "Borg Warner"), and the Court

having reviewed the moving and opposition papers, if any, and for good cause shown;

IT IS ON THIS _---10_(,J'--l-_h_~d.ay of_-----'\Y\-~~o."".c_._r""'h_._ _____ ,, 2018,

ORDERED that the motion ofDefenda(lt, BorgWarner to dismiss is hereby granted, and

the Complaint and any Counterclaims and Cross-Claims are hereby dismissed with prejudice;

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

of the date hereof.

Honorable Ana C. Viscomi, J.S.C.

83017922vl

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Jack N. Frost, Jr. (State ID No. 025312005) DRINKER BIDDLE & REATH LLP A Delaware Limited Liability Partnership 600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson

DA YID CHARLES ETHERIDGE and DARLENE PASTORE ETHERIDGE,

Plaintiffs,

V.

BRENNTAG NORTH AMERICA, INC. (sued individually and as successor-in­interest to MINERAL PIGMENT SOLUTIONS, INC., and as successor in interest to WHITT AKER CLARK & DANIELS, INC.), et al.

Defendants.

FILED MAR 2 9 2018

ANAc ,, . vlSCOMt ,J.s.c.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-932-17 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson, for an Order admitting Eric D. Cook, Esq., pro hac vice, and

the court having considered the submissions of the parties, and for good cause having been

shown:

IT IS this __ 2._0\_-\h_· _ day of_,._(Y\_.__..Cl-..:.fi=C-_I,__:_ __ _, 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson,

subject to the following conditions:

91410106.l

Page 47: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

I. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson and this matter involves complex product liability issues to which Mr. Cook is a

specialist;

2. Eric D. Cook, Esq. shall abide by the New Jersey Comi Rules including all

disciplinary rules, R. 1 :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D. Cook, Esq. shall have all pleadings, briefs and other papers filed with the

comi signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of his inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (10)

days, pay the fees required by R. 1 :20-1 (b ), R. 1 :28-2 and R. 1 :28B-l ( e) and submit an affidavit

of compliance;

2 91410106.I

Page 48: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. 1 :20-1 (b ), R. I :28-2 and R.

1:28B-l(e);

I 0. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made ~

no later than February ~ of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel of record within seven (7) days of the date hereof.

This Motion was:

_j)pposed

__ \/ TJUnopposed

91410106.l

~c.J~ Honorable Ana Viscomi, J .S.C.

3

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McGivney Klnger & Cook, P.C. Marc J. Wiscl, Esq. NJ ID #031052004 18 Columbia Turnpike, 3rd Floor Florham Park, New Jersey 07932 (973) 822-1110 Attorneys for Defendant, Brand Insulations, Inc.

SHERRY FISCHER, EXECUTRIX OF THE ESTATE OF JOHN J. GATELY, JR.;

Plaintiffs,

-vs-

A.W. CHESTERTON COMPANY, et.al;

Defendants.

J

. 'Jc,~

~w/f, J.s SUPERIOR COURT OF NEW JER§1,:y LAW DIVISION: MIDDLESEX COUNTY DOCKETNO. MID-L-7231-13(AS)

Civil Action Asbestos Litigation

ORDER

THIS MATTER having been opened to the court on motion by McGivney Kluger &

Cook, P.C., attorneys for defendant Brand Insulations, Inc., for an order granting summary

judgment and a dismissal of all claims and crossclaims with prejudice, and the court having

reviewed the moving papers, and any opposition thereto and for good cause having been shown;

IT IS on this 0_c\+'d'ay of_CY\.,__~~4~· c~c=h~-----~• 2018;

ORDERED that summmy judgment shall be and hereby is granted in favor of defendant

Brand Insulations, Inc.; and it is

FURTHER ORDERED that all claims and all crossclaims against Brand Insulations,

Inc. shall be and hereby are dismissed with prejudice; and it is

FURTHER ORDERED that a copy of this order shall be served upon all attorneys of

record within tj- days ofreceipt by counsel for the moving party.

__ ..,,Opposed VUnopposed

~c.J~· Honorable Ana C. Viscomi, J.S.C.

{F1683552-1)

"Having reviewed the above motion, I find ii to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

Page 50: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

MCGIVNEY, KLUGER & COOK, P.C. 23 Vreeland Road, Suite 220 Florham Park, New Jersey 07932 (973) 822-1 110 Attorneys for Defendant, Durametallic Corporation

SHERRY FISCHER, EXECUTRIX OF TI-IE ESTATE OF JOHN J. GATELY, JR.;

Plaintiffs,

-vs-

A.W. CHESTERTON COMPANY, et.al;

Defendants.

P-~ 1l.i2t) M4R 2

4NA 9 2018

571-843

c. ll1scoM1 SUPERIOR eds~ OF NEW JERSEY LAW DIVISION-MIDDLESEX COUNTY DOCKET NO.: MID-L-723 l-13AS

Civil Action Asbestos Litigation

ORDER

I

THIS MATTER having been opened to the Court on Motion of McGivney and Kluger,

P .C., attorneys for Defendant, Durametallic Corporation, for an Order granting said Defendant

summaiy judgment in the within cause of action, and the Court having reviewed the moving

papers and for good cause shown;

ITlSonthis 2,q+tayof ~~Cl'.)2018;

ORDERED that the Motion for Summary Judgment of Defendant, Durametallic

Corporation is hereby granted in favor of said Defendant and that plaintiffs claims and any and

all cross claims and/or third-party complaints asserted against this Defendant are hereby

dismissed with prejudice; and it is further;

ORDERED that a copy of this Order shall be served upon all attorneys of record within

seven (7) days of the date hereof.

Opposed --V Unopposed

½t. I ~CU~· onorable Ana C. Viscomi, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

Page 51: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Maryam M. Meseha Attorney l.D. No: 013982011 TANENBAUM KEALE LLP One Newark Center, 16th Floor Newark, New Jersey 07102 (973) 242-0002 Attorney for Defendant Foster Wheeler LLC

f:fLJEo Ai\l MAR 2 g 2o;a ~ c. l//scoM1

. J.s.c

SHERRY FISCHER, EXECUTRIX OF SUPERIOR COURT OF NEW JERSEY THE ESTATE OF JOHN J. GATELY, JR., : LAW DIVISION: MIDDLESEX COUNTY

(

Plaintiffs, DOCKET NO. MID-L-7231-13 ASamwl If? I ~g: .

-against-

A.W. CHESTERTON COMPANY, ct al.,

Defendants. :

Civil Action

ORDER FOR SUMMARY JUDGMENT FOR DEFENDANT FOSTER WHEELER LLC

THIS MATTER having come before the Court on Motion of Tanenbaum Keale LLP,

attorneys for defendant Foster Wheeler LLC (hereinafter "Foster Wheeler"), and the Court having

reviewed the moving and opposition papers, if any, and for good cause shown;

IT IS ON THIS 'c_ q--\,-1---\ day of _ __,(Y\ _ __.__..:_C<...,,_,,Cc.:.h-'-----~·· 2018,

ORDERED that the motion of Defendant Foster Wheeler for swnmary judgment is

hereby GRANTED and the Complaint and any Counterclaims and Cross-Claims are hereby

dismissed with prejudice;

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

of the date hereof.

84143332vl

Honorable Ana C. Viscomi, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, It therefore will be granted essentially for the reasons set forth in the moving papers."

Page 52: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

WILBRAHAM, LAWLER & BUBA By: Bernard E. Kueny, Esq. (Atty# 036411987)

Michael J. Block, Esq. (Atty# 020031984) Anisha S. Abraham, Esq. (Atty #031862007)

30 Washington Ave., Suite B3 FiLfEr;

MAR 2 9 20ta Haddonfield, NJ 08033-3341 Tel: (856) 795-4422 Attorney for Defendant, NOSROC Corporation

JOHN J. GATELY, JR.,

Plaintiff, v.

NOSROC CORPORATION, et al., Defendants.

ANA C. 1/tsco Mi,J.s.c

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY

DOCKET NO. MID-L-7231-13 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER FOR SUMMARY JUDGMENT BY DEFENDANT NOSROC CORPORATION

This matter having come before the Court by Motion of Wilbraham, Lawler & Buba,

attorneys for Defendant NOSROC Corporation, and the Court having reviewed the moving and

opposition papers, if any, and for good cause shown:

IT IS ON THIS

ORDERED that the motion of Defendant NOSROC Corporation for summary judgment is

hereby granted and the Complaint and any Counterclaims and Cross-Claims are hereby dismissed

with prejudice.

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

of the date hereof.

--~Opposed V Unopposed

Hon. Ana C. Viscomi, J.S.C

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

Page 53: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Jack N. Frost, Jr. (State ID No. 025312005)

DRINKER BIDDLE & REA TH LLP A Delaware Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson

ROSALIND HENRY and FREDERICK C. HENRY, husband and wife,

Plaintiffs,

vs.

BRENNTAG NORTH AMERICA, INC., et al.,

Defendants.

SUPERIOR COURT OF NEW JERSEY

LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-1748-17 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson, for an Order admitting Eric D. Cook, Esq., pro hac vice, and

the comt having considered the submissions of the patties, and for good cause having been

shown:

IT IS this _z~c1_--\-h ___ day of_~(Y\~_-"-0--'-0~c..~h__.__ __ ,, 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson,

subject to the following conditions:

91556281.1

Page 54: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

I. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson and this matter involves complex product liability issues to which Mr. Cook is a

specialist;

2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. I :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Comt as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D.Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (I 0)

days, pay the fees required by R. 1:20-l(b), R. 1:28-2 and R. 1:28B-l(e) and submit an affidavit

of compliance;

2 91556281.1

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9, The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. 1 :20-1 (b ), R. 1 :28-2 and R.

1:28B-l(e);

10, Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made ".)...

no later than Febrnary 'ys. of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a trne copy of this Order shall be served upon all

counsel of record within seven (7) days of the date hereof.

This Motion was:

~_5wposed

_V_ Un nopposed

91556281.1

Honorable Ana Viscomi, J.S.C.

3

Page 56: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Jack N. Frost, Jr. (State ID No. 025312005)

DRINKER BIDDLE & REA TH LLP A Delaware Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson Consumer, Inc.

ROSALIND HENRY and FREDERICK C. HENRY, husband and wife,

Plaintiffs,

vs.

BRENNTAG NORTH AMERICA, INC., et al.,

Defendants.

SUPERIOR COURT OF NEW JERSEY

LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-1748-17 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson Consumer, Inc., for an Order admitting Eric D. Cook, Esq.,

pro hac vice, and the court having considered the submissions of the parties, and for good cause

having been shown:

n(A-\-h r-.1\ IT IS this-~.?-_:-_ I __ day of_~\l' ___ ()..~,;~c;~',,,\~ __ , 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson

Consumer, Inc., subject to the following conditions:

I. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson Consumer, Inc., and this matter involves complex product liability issues to which

Mr. Cook is a specialist;

91556281.l

Page 57: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

2. Eric D. Cook, Esq. shall abide by the New Jersey Comt Rules including all

disciplinary rules, R. 1 :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D. Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (10)

days, pay the fees required by R. 1:20-l(b), R. 1:28-2 and R. 1:28B-l(e) and submit an affidavit

of compliance;

9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to malce the initial and any annual payment required by R. 1:20-l(b), R. 1:28-2 and R.

1 :28B-1 ( e );

10. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

2 91556281.1

Page 58: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made J:y

no later than February)){ of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel of record within seven (7) days of the date hereof.

This Motion was:

Opposed

Xunopposed

91556281.1

Honorable Ana Viscomi, J.S.C.

3

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HAWKINS PARNELL THACKSTON & YOUNG LLP

By: RoyF. Viola, Jr., Esq. (ID 015301993) 600 Lexington Ave, 8th Floor New York, New York 10022 Tel: 212.897.9655 Fax: 646.589.8700 Attorneys for Defendant American International Industries

DWAYNE JOHNSON,

Plaintiff,

vs.

Fii.,J:D MAR 2 9 20/8

ANAc • Vtsc0M /,J.s.c

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-6651-16AS

CIVIL ACTION -ASBESTOS LITIGATION

AMERICAN INTERNATIONAL INDUSTRIES, ORDER GRANTING MOTION et al., TO ADMIT MICHAEL B. GIAQUINTO,

ESQ. PRO HAC VICE AS COUNSEL FOR Defendants. DEFENDANT AMERICAN

INTERNATIONAL INDUSTRIES

NOW, upon the reading and filing of the moving papers and opposition thereto, along with the certification of Roy F. Viola, Jr., Esq. and Michael B. Giaquinto, Esq., and for good cause having been shown,

IT IS HEREBY ORDERED that there is good cause for Michael B. Giaquinto, Esq. 's admission pro hac vice in that he has a special interest in the fields of products liability and asbestos litigation. He is familiar with the facts of this case, and there is an existing attorney­client relationship with AIL

IT IS FURTHER ORDERED that Michael B. Giaquinto, Esq., Associate with the firm Hawkins Parnell Thackston & Young LLP, be and is hereby admitted to practice before this Honorable Court pro hac vice on behalf of AII, in the above-captioned litigation.

IT IS FURTHER ORDERED that Michael B. Giaquinto, Esq. will, pursuant to Rule I :2 l-2(b ), abide by the rules governing the courts of the State of New Jersey, including all disciplinary rules.

IT IS FURTHER ORDERED, pursuant to Rule 1:21-2(b), that Michael B. Giaquinto, Esq. consents to the appointment of the Clerk of the Supreme Court as an agent upon whom service of process may be made for all actions against Michael B. Giaquinto, Esq. or his firm that may arise out of his participation in the instant litigation.

Page 60: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

IT IS FURTHER ORDERED that this Honorable Court is to receive notice immediately of any matter affecting Michael B. Giaquinto, Esq. 's good standing as a member of the bar of any other jurisdiction.

Shall have all pleadings, briefs and other papers filed with the court signed by an attorney of record authorized to practice in this State, who shall be held responsible for them, the conduct of the cause and the admitted attorney.

Shall, within 10 days of the date of this order, pay the fees required by Rule 1:20-l(b), Rule 1 :28B-l(e) and Rule 1 :28-2 and shall submit an affidavit of compliance.

Attorney shall not be designated as trial counsel.

No adjournment or delay in discovery, motions, trial or any other proceeding will be requested by reason of the attorney's inability to appear.

Automatic termination of Pro Hae Vice admission shall occur for failure to make the required annual payments to The Disciplinary Oversight Committee, The New Jersey Fund for Client Protection and Lawyers Assistance Program. Proof of such payment, after filing proof of the initial payment, shall be made no later than February 1st of each year.

Non-compliance with any of these requirements shall constitute grounds for removal.

A copy of this order shall be served on all parties within 7 days of the date of this order. fu (Y\c,.ch

Date:~ Day of£el.1 m), 2018.

_____ Opposed

Honorable Ana C. Viscomi, J.S.C.

___ ✓i __ Unopposed

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MID-L-006177-17 02/08/2018 2:53:22 PM Pg 1 of 2 Trans ID: LCV2018247378

ABOYOUN, HELLER & DOBBS, L.L.C. Seth L. Dobbs, Esq. (039942009) 77 Bloomfield Ave Pine Brook, New Jersey 07058 T: (973) 575-9600 F: (973) 575-1925 [email protected] Attorneys for Defendants Avi Auto Sales, Inc., Abraham Le , and Daniel Le

PETER KALAS IN, on behalf of himself and those similarly situated,

Plaintiff(s),

v.

A VI AUTO SALES, INC., ABRAHAM LEVY, DANIEL LEVY, and JOHN DOES 1-5,

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO.: MID-L-006177-17

Civil Action

ORDER VACATING DEFAULT

TIDS MATTER having been brought before the Court on the motion of Defendants Avi

Auto Sales, Inc., Abraham Levy, and Daniel Levy (hereinafter collectively referred to as "Avi

Auto"), through its attorneys, Aboyoun, Heller & Dobbs, L.L.C., to vacate default under Rule

4:43-3; and the Court having considered the submissions of the parties in support of and in

opposition to the motions; and having heard oral argument from counsel, if any; and for good cause

having been shown;

IT IS ON THIS 3-:i day of--'~=,__.,_,,,""· =-----~2018,

ORDERED that Avi Auto's motion to vacate default is hereby granted; and it is fmther

ORDERED that Avi Auto shall serve responsive pleadings within thirty (30) days of

receipt of this Order; and it is finther

I

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MID-L-006177-17 02/08/2018 2:53:22 PM Pg 2 of2 Trans ID: LCV2018247378

ORDERED that a copy of this Order shall be served upon all parties ofrecord within seven

(7) days of its receipt.

HONORABLE ANA C. VISCOMI, J.S.C.

Opposed [ ] Unopposed [ ~

2

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O'T00LE SCRIV0 FERNANDEZ WEINER VAN LIEU, LLC Gary Van Lieu (Attorney No. 019971990) 14 Village Park Road Cedar Grove, New Jersey 07009 (973) 239-5700 Attorneys for Defendant, J W. Goodliffe & Son, Inc.

EDWARD KAZARY, SUPERIOR COURT OF NEW JERSEY

LAW DIVISION: MIDDLESEX COUNTY DOCKET NO. MID-L-2881-14AS

Plaintiff,

V.

Asbestos Litigation Civil Action

3M COMP ANY, et. al., ORDER

Defendants.

THIS MATTER, having been opened by Defendant, J.W. Goodliffe & Son, Inc.

("Goodliffe"), for an Order pursuant to Rule 4:46-1, granting summary judgment in favor of

Goodliffe, dismissing the Complaint and all claims, counter-claims, and cross-claims, with

prejudice, and the Court having reviewed the moving papers of counsel, and the Court having

heard oral argument, and for other good cause shown;

IT IS ON THIS 'c... q-\-~y of fV'\ CA,Cb

ORDERED as follows:

, 2018;

1. Goodliffe's motion for summary judgment is hereby GRANTED;

2. The Complaint and all claims filed by Plaintiff against Goodliffe are hereby DISMISSED with prejudice;

3. Any and all cross-claims filed by any Co-Defendants against Goodliffe are hereby DISMISSED with prejudice;

4. Any and all claims, cross-claims and counterclaims asse1ted now and hereafter are hereby DISMISSED with prejudice, as to Goodliffe; and

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5. Counsel for Goodliffe shall serve one copy of this Order on all counsel within ::{­days of receiving a conformed copy.

Opposed

Unopposed

SO ORDERED.

2

RABLE ANA C. VISCOMI, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, It therefore will be granted essentially for the reasons set forth in the moving papers."

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Jack N. Frost, Jr. (State ID No. 025312005) DRINKER BIDDLE & REATH LLP A Delm-vare Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson

MARC LADUE and MARSHA LADUE,

Plaintiffs,

vs.

AMERICAN HONDA MOTOR COMP ANY, INC., et al.,

Defendants.

FILED MAR 2 9 2018

ANA C. VISCOM/, J.S.C.

SUPERIOR COURT OF NEW JERSEY

LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-0827-17 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson, for an Order admitting Eric D. Cook, Esq., pro hac vice, and

the cornt having considered the submissions of the parties, and for good cause having been

shown:

IT IS this '2, oi+h day of_~\\J\~=C,l~r;~c_=h~---'' 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson,

subject to the following conditions:

9140963n

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1. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson and this matter involves complex product liability issues to which Mr. Cook is a

specialist;

2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. 1 :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D.Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (10)

days, pay the fees required by R. 1 :20-1 (b ), R. 1 :28-2 and R. I :28B- l ( e) and submit an affidavit

of compliance;

2 91409637.1

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9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. 1 :20-1 (b ), R. 1 :28-2 and R.

l:28B-l(e);

10. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made )-.

no later than February~ of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel of record within seven (7) days of the date hereof.

This Motion was:

__ Opposed

Vunopposed

91409637.1

Honorable Ana Viscomi, J.S.C.

3

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Jack N. Frost, Jr. (State ID No. 025312005) DRINKER BIDDLE & REATH LLP A Delaware Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson Consumer, Inc.

MARC LADUE and MARSHA LADUE,

Plaintiffs,

vs.

AMERICAN HONDA MOTOR COMPANY, INC., et al.,

Defendants.

FILED MAR 2 9 2018

ANAc · viscoM 1,J.s.c

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-0827-17 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson Consumer, Inc., for an Order admitting Eric D. Cook, Esq.,

pro hac vice, and the court having considered the submissions of the parties, and for good cause

having been shown:

IT IS this -~'2=°1~~-~ day of Mc~ ,c...h , 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson

Consumer, Inc., subject to the following conditions:

1. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson Consumer, Inc., and this matter involves complex product liability issues to which

Mr. Cook is a specialist;

91409637.1

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2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. 1 :20-1 and R. I :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D. Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (I 0)

days, pay the fees required by R. I :20-1 (b ), R. I :28-2 and R. 1 :28B-l ( e) and submit an affidavit

of compliance;

9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. 1 :20-1 (b ), R. 1 :28-2 and R.

1:28B-l(e);

10. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

2 91409637.l

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Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made

x no later than February b(of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel of record within seven (7) days of the date hereof.

This Motion was:

____,f)pposed

__ V_ lJ Unopposed

91409637.1

Honorable Ana Viscomi, J.S.C.

3

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HAWKINS PARNELL THACKSTON & YOUNG LLP

By: Roy F. Viola, Jr., Esq. (ID 015301993) 600 Lexington Ave, 8th Floor New York, New York 10022 Tel: 212.897.9655 Fax: 646.589.8700 Attorneys for Defendant American International Industries

MARGARET ROSE LANGLEY LASHLEY and EDWARD GENE LASHLEY,

Plaintiff,

vs.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKETNO. MID-L-7336-16AS

CIVIL ACTION - ASBESTOS LITIGATION

ORDER GRANTING MOTION AMERICAN INTERNATIONAL INDUSTRIES, TO ADMIT MICHAEL B. GIAQUINTO, et al., ESQ. PRO HAC VICE AS COUNSEL FOR

DEFENDANT AMERICAN Defendants. INTERNATIONAL INDUSTRIES

NOW, upon the reading and filing of the moving papers and opposition thereto, along with the certification of Roy F. Viola, Jr., Esq. and Michael B. Giaquinto, Esq., and for good cause having been shown,

IT IS HEREBY ORDERED that there is good cause for Michael B. Giaquinto, Esq.'s admission pro hac vice in that he has a special interest in the fields of products liability and asbestos litigation. He is familiar with the facts of this case, and there is an existing attorney­client relationship with AIL

IT IS FURTHER ORDERED that Michael B. Giaquinto, Esq., Associate with the firm Hawkins Parnell Thackston & Young LLP, be and is hereby admitted to practice before this Honorable Court pro hac vice on behalf of AII, in the above-captioned litigation.

IT IS FURTHER ORDERED that Michael B. Giaquinto, Esq. will, pursuant to Rule 1:21-2(b), abide by the rules governing the courts of the State of New Jersey, including all disciplinary rules.

IT IS FURTHER ORDERED, pursuant to Rule 1:21-2(b), that Michael B. Giaquinto, Esq. consents to the appointment of the Clerk of the Supreme Court as an agent upon whom service of process may be made for all actions against Michael B. Giaquinto, Esq. or his firm that may arise out of his participation in the instant litigation.

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IT IS FURTHER ORDERED that this Honorable Court is to receive notice immediately of any matter affecting Michael B. Giaquinto, Esq. 's good standing as a member of the bar of any other jurisdiction.

Shall have all pleadings, briefs and other papers filed with the court signed by an attorney of record authorized to practice in this State, who shall be held responsible for them, the conduct of the cause and the admitted attorney.

Shall, within 10 days of the date of this order, pay the fees required by Rule 1 :20-1 (b ), Rule 1:28B-l(e) and Rule 1:28-2 and shall submit an affidavit of compliance.

Attorney shall not be designated as trial counsel.

No adjournment or delay in discovery, motions, trial or any other proceeding will be requested by reason of the attorney's inability to appear.

Automatic termination of Pro Hae Vice admission shall occur for failure to make the required annual payments to The Disciplinary Oversight Committee, The New Jersey Fund for Client Protection and Lawyers Assistance Program. Proof of such payment, after filing proof of the initial payment, shall be made no later than February 1st of each year.

Non-compliance with any of these requirements shall constitute grounds for removal.

A copy of this order shall be served on all parties within 7 days of the date of this order.

Date: -1-h {V\-1crch

:2-'1 Dayof~,2018.

Honorable Ana C. Viscomi, J.S.C.

_____ Opposed Vunopposed

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Jack "!. Frost, Jr. (State ID No. 025312005) DRlNKER BIDDLE & REATH LLP A Delaware Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson

MARIE BOND MACY and JACK MACY,

Plaintiffs,

V.

BRENNTAG NORTH AMERICA, INC. (sued individually and as successor-in­interest to MINERAL PIGMENT SOLUTIONS, INC. and as successor-in interest to WHITTAKER CLARK & DANIELS, INC.), et al.

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-623-17-AS

CNILACTION ASBESTOS LITIGATION

ORDER ADMITTING KEVIN M. HYNES, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson, for an Order admitting Eric D. Cook, Esq., pro hac vice, and

the court having considered the submissions of the parties, and for good cause having been

shown:

IT IS this ~'2~q+h_· __ day of ("Y\c.,_rch,_ , 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson,

subject to the following conditions:

/

91409801.1

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1. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson and this matter involves complex product liability issues to which Mr. Cook is a

specialist;

2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. 1 :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Cami of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D. Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of his inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (10)

days, pay the fees required by R. 1:20-l(b), R. 1:28-2 and R. 1:28B-l(e) and submit an affidavit

of compliance;

2 9140980 l.l

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9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. 1:20-l(b), R. 1:28-2 and R.

1 :28B-1 ( e );

10. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fnnd and the NJ Lawyer's

Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made 1.i---

no later than February p:>s.of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel of record within seven (7) days of the date hereof.

This Motion was:

----,/Opposed

-~ V_ Unopposed

91409801.1

Honorable Ana Viscomi, J.S.C.

3

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O'TOOLE SCRIVO FERNANDEZ WEINER VAN LIEU LLC By: Joshua S. Lichtenstein, Esq. New Jersey Attorney ID# 03269-1992 14 Village Park Road Cedar Grove, New Jersey 07009 (973) 239-5700 Attorneys for Defendant, Vanderbilt Minerals, LLC fi'k/a R.T. Vanderbilt Company, Inc.

CATHERINE M. MOORE, individually and as Executrix and Executrix ad Prosequendum of the Estate of ROBERT MOORE,

Plaintiffs,

vs.

3M COMP ANY, et al.,

Defendants.

F'iLED MA1? 2 g 201a

ANAc . V1sco,v71, J.s.c

SUPERlOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-7152-12AS

Civil Action

Asbestos Litigation

ORDERFORSUMMARYJUDGMENT

This matter having come before the Court on motion of O'Toole Scrivo Fernandez Weiner

Van Lieu LLC, attorneys for Defendant, Vanderbilt Minerals, LLC, formerly known as R.T.

Vanderbilt Company, Inc., and the Court having reviewed the moving and opposition papers, if any,

and for good cause shown;

ITIS ON THIS , 2018,

ORDERED that the motion for summary judgment of Defendant, Vanderbilt Minerals,

LLC, formerly known as R.T. Vanderbilt Company, Inc., is hereby granted and the Complaint and

any counterclaims and cross-claims are hereby dismissed with prejudice as to Vanderbilt Minerals,

LLC, formerly known as R.T. Vanderbilt Company, Inc.; and it is

FURTHER ORDERED that a copy of this Order shall be served on all counsel within seven

(7) days of the date hereof.

Pape;? Considered: _V_ M lvoving Papers __ Opposing Papers

(bC.J~· Ana C Visi:;omi J ~ f' , 1 f' d ·t "Having reviewea tne abO~e-mot1on, in _I

to be meritorious on its face and 1s unopposed. Pursuant to R. t :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

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Jack N. Frost, Jr. (State ID No. 025312005) DRINKER BIDDLE & REATH LLP A Delaware Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson

HOLLI PROVINZANO and RYAN PROVINZANO,

Plaintiffs,

vs.

CYPRUS AMAX MINERALS COMPANY, et al.

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-2464-17 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson, for an Order admitting Eric D. Cook, Esq., pro hac vice, and

the court having considered the submissions of the parties, and for good cause having been

shown:

IT IS this 2cj-\-h day of (V\ Dcc..h. , 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson,

subject to the following conditions:

91423052.1

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1. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson and this matter involves complex product liability issues to which Mr. Cook is a

specialist;

2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. 1 :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D.Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (10)

days, pay the fees required by R. 1 :20-l(b), R. 1 :28-2 and R. 1 :28B-l(e) and submit an affidavit

of compliance;

2 91423052.1

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9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. 1 :20-1 (b ), R. 1 :28-2 and R.

1 :28B-1 ( e);

10. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

Fund for Client Prote3,'.'.'.n. Proof of such payment, after filing proof of payment, shall be made

no later than February/§ of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel ofrecord within seven (7) days of the date hereof.

This Motion was:

Opposed

?unopposed

91423052.1

Honorable Ana Viscomi, J.S.C.

3

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Jack N. Frost, Jr. (State ID No. 025312005) DRINKER BIDDLE & REA TH LLP A Delaware Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson Consumer, Inc.

HOLLI PROVINZANO and RYAN PROVINZANO,

Plain tiffs,

vs.

CYPRUS AMAX MINERALS COMPANY, et al.

Defendants.

F'ILED, MAR 2 9 201e,

ANA C. v1scoM1 ,J.s.c.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKETNO.MID-L-2464-17 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson Consumer, Inc., for an Order admitting Eric D. Cook, Esq.,

pro hac vice, and the court having considered the submissions of the parties, and for good cause

having been shown:

IT IS this '2:1--\h day of (V\ o ccb.. , 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson

Consumer, Inc., subject to the following conditions:

1. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson Consumer, Inc., and this matter involves complex product liability issues to which

Mr. Cook is a specialist;

91423052.1

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2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. I :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Court of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D. Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (10)

days, pay the fees required by R. 1:20-l(b), R. 1:28-2 and R. 1:28B-l(e) and submit an affidavit

of compliance;

9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. 1 :20-1 (b ), R. 1 :28-2 and R.

1:28B-l(e);

I 0. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

2 91423052.1

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Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made

1-no later than February ft of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel ofrecord within seven (7) days of the date hereof.

This Motion was:

Opposed

VLJnopposed

91423052.1

Honorable Ana Viscomi, J.S.C.

3

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) - I

WILBRAHAM, LAWLER & BUBA By: ,John S. Howarth, Esq. (Atty# 037821992)

Keith D. Babula, Esq. (Atty# 006232004) 30 Washington St., B3

F'ilEu MAR 2 9 2018

ANAc ~

Haddonfield, NJ 08033-3341 (856) 795-4422 Air and Liquid Systems Corp., as successor by merger to Buffalo Pumps, Inc., (incorrectly sued as Buffalo Pumps, Inc., Individually and as successor to Buffalo Forge Co.)

WILLIAM SAVAGE and CONNIE SAVAGE, husband and wife,

Plaintiffs, v.

AIR AND LIQUID SYSTEMS CORP., AS SUCCESSOR BY MERGER TO BUFFALO PUMPS, INC., et al.,

Defendants.

· ISCQl,v7J JS ' . . c.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY

NO. MID-L-7305-15 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER FOR SUMMARY JUDGMENT BY DEFENDANT, AIR AND LIQUID SYSTEMS CORP., AS SUCCESSOR BY MERGER TO BUFFALO PUMPS, INC.

This matter having come before the Court by Motion of Wilbraham, Lawler & Buba,

attorneys for Defendant, Air and Liquid Systems Corp., as successor by merger to Buffalo Pumps,

Inc., and the Court having reviewed the moving and opposition papers, if any, and for good cause

shown:

IT IS ON THIS 'c/i -\-h day of Mr,-1.<""C.h. , 2018,

ORDERED that the motion of Defendant, Air and Liquid Systems Corp., as successor

by merger to Buffalo Pumps, Inc., for summary judgment is hereby granted, and the Complaint

and any Counterclaims and Cross-Claims are hereby dismissed with prejudice.

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

of the date hereof.

--~Opposed V"""' Unopposed

~c.cJ~ Hon. Ana C. Viscomi, J.S.C

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

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McGIVNEY, KLUGER & COOK, P.C. Derrick A. Grant, Esq. (I.D. No. 165052015) 23 Vreeland Road, Suite 220 Florham Park, NJ 07932 973-822-1110 Attorneys for the Defendant, Allied Building Products Corp.

( z

3932-0009

WILLIAM SAVAGE and CONNIE SAVAGE, husband and wife;

Plaintiffs,

..,, v.{;'.c_

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO.: MID-L-7305-lSAS

v.

AT&T CORP., et al.;

Defendants.

Civil Action Asbestos Litigation

ORDER

THIS MATTER having been opened to the Court by application of Defendant, Allied

Building Products Corp. by and tln·ough its attorneys, McGivney, !Guger & Cook, P.C., for an

Order granting summary judgment in favor of Allied Building Products Corp., and the Court

having read the submissions of counsel and considered the oral arguments presented, if any, and

for good cause having been shown,

ITISonthis •ac~+~yof (V\~<>Ch,2018;

ORDERED that the Motion for Summary Judgment of Defendant, Allied Building

Products Corp., is hereby granted and that Plaintiffs claims and any and all cross-claims asserted

against Allied Building Products Corp. are hereby dismissed with prejudice; and it is further;

ORDERED that a copy of this Order shall be served upon all attorneys of record within

seven (7) days of the date hereof.

~~,,..Opposed ?unopposed

{Fl683836-l)

I ' ~c~· Honorable Ana C. Viscomi, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

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SvVARTZ CAMPBELL LLC BY: William C. Morlok Attorney Identification No: 018342009 1000 Crawford Place Suite 220 Mt. Laurel, New Jersey 08054 (856) 727-4777 Allorney For Defendant, Allied Glove Corp., incorrectly named as Allied Glove & Safety Products Nfanufacturing Corp.

WILLIAM SAVAGE AND CONNIE SAVAGE, husband and wife,

Plaintiff,

V.

AT&T CORPORATION, et al., Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY DOCKET NO. L-7305-15

ASBESTOS MOTION

CIVIL ACTION

ORDER FOR SUMMARY JUDGMENT IN FAVOR OF DEFENDANT, ALLIED GLOVE CORPORATION

THIS matter, having come before the Court on Motion of Swartz Campbell LLC, attorneys for

defendant, Allied Glove Corp., incorrectly named as Allied Glove & Safety Products Manufacturing

Corp., and the Court having reviewed the moving and opposition papers, if any, and for good cause

shown;

IT is on this , 2018, ORDERED the motion of Defendant,

Allied Glove Corp. for summary judgment is hereby granted and the Complaint and any Counterclaims

and cross-claims are hereby dismissed with prejudice.

IT is FURTHER ORDERED that a copy of this Order shall be served upon all counsel within

seven (7) days of the date hereof.

Uu..c.~· Honorable Ana C. Viseomi, J.S.C.

"Having reviewed the above motion, I find_it to be meritorious on its face and 1s unopposed. Pursuant to ~-1 :6-2, it therefore will be granted essentially for the reasons set forth In the moving papers."

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McGIVNEY, KLUGER & COOK, P.C. Kevin E. Hoffman, Esq. (No. 006491988) 18 Columbia Turnpike, 3rd Floor Florham Park, NJ 07932 (973) 822-1110 Attorneys for D~fendant, Binsky & Snyder, LLC

William Savage and Connie Savage, husband and wife,

Plaintiff(s), -vs-

AT&T Corp., et al.,

Defendant(s).

SUPERIOR COURT OF NEW JERSEY LAW DIVISION-MIDDLESEX COUNTY DOCKET NO. MID-L-7305-15 AS

Civil Action

Asbestos Litigation

ORDER

THIS MATTER having been opened to the Court on Motion ofMcGivney, IGuger & Cook,

P.C., attorneys for Defendant, Binsky & Snyder, LLC, for an Order granting said Defendant's

Motion for Summary Judgment in the within cause of action, and the Court having reviewed the

moving papers and for good cause shown;

IT IS on this 2-t\~y of CY:\a a' jq , 2018;

ORDERED that the Motion for Summary Judgment of Defendant, Binsky & Snyder, LLC,

is hereby granted in favor of said Defendant and that the Plaintiffs' claim and any and all cross

claims asse1ted against this Defendant are hereby dismissed with prejudice; and it is fmther;

ORDERED that a copy of this Order shall be served upon all attorneys of record within

seven (7) days of the date hereof.

__ Opposed

1Unopposed

(Fl682225-l}

onorable Ana Viscorni, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth In the moving papers."

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McGivney Kluger & Cook, P.C. Marc J. Wise), Esq. NJ ID #031052004 18 Columbia Turnpike, 3rd Floor Florham Park, New Jersey 07932 (973) 822-1110

I

Attorneys for Defendant, Brand Insulations, Inc. (improperly pied as Onyx Industrial, Inc., individually, as successor to and doing business as Brand Insulations, Inc., The Brand Companies, Inc., and Waste Management, Inc.) ("Brand")

WILLIAM SAVAGE and CONNIE SUPERIOR COURT OF NEW JERSEY SAVAGE, Husband and Wife; LAW DIVISION: MIDDLESEX COUNTY

DOCKETNO. MID-L-7305-lS(AS) Plaintiffs,

Civil Action -vs- Asbestos Litigation

AT&T CORPORATION, et.al; ORDER

Defendants.

THIS MATTER having been opened to the court on motion by McGivney !Guger &

Cook, P .C., attorneys for defendant Brand Insulations, Inc. (improperly pied as Onyx Industrial,

Inc., individually, as successor to and doing business as Brand Insulations, Inc., The Brand

Companies, Inc., and Waste Management, Inc.) ("Brand") for an order granting summary judgment

and a dismissal of all claims and crossclaims with prejudice, and the court having reviewed the

moving papers, and any opposition thereto and for good cause having been shown;

IT IS on this '2./-\-\-~y of N\ cAn:.}"- 2018;

ORDERED that summary judgment shall be and hereby is granted in favor of defendant

Brand Insulations, Inc.; and it is

FURTHER ORDERED that all claims and all crossclaims against defendant Brand

Insulations, Inc. shall be and hereby are dismissed with prejudice; and it is

FURTHER ORDERED that a copy of this order shall be served upon all attorneys of

record within tj- days of receipt by counsel for the moving party.

__ Opposed

VUnopposed

Honorable Ana C. Viscomi, J.S.C.

{Fl 683762-1)

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

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Nicea J. D' Annunzio, Esq. NJ Attorney ID 034901985

HARDIN, KUNDLA, MCKEON & POLETTO COUNSELLORS AT LAW

A PROFESSIONAL CORPORATION

673 MORRIS A VENUE

SPRINGFIELD, NEW JERSEY 07081

(973)912-5222

Attorneys for Defendant, Calon Insulation Corporation

WILLIAM SAVAGE AND CONNIE SAVAGE, HUSBAND AND WIFE,

Plaintiffs, vs.

AT&T CORP., et. al.,

Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY Docket No. MID-L-7305-15 AS

Civil Action

ASBESTOS LITIGATION

ORDER GRANTING DEFENDANT, CALON INSULATION CORPORATION'S MOTION

FOR SUMMARY JUDGMENT

This matter having come before the Court on Motion of HARDIN,

KUNDLA, MCKEON & POLETTO, P.A. , attorneys for Defendant, Cal on

Insulation Corporation, and the Court having reviewed the moving

and opposition papers, if any, and for good cause shown;

IT IS on this ·2-q-thday of (\/\CAf'Ch 11-9l )'; ORDERED that the motion of Defendant, Calon Insulation

Corporation, for summary judgment is hereby granted and the

Complaint and any Counterclaims and Crossclaims are hereby

dismissed with prejudice; and it is further

ORDERED that a copy of this Order shall be served on all

counsel within seven (7) days of

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

HON. ANA C. VISCOMI, J.S.C.

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David S. Blow Attorney I.D. No: 01951997 ;;,,J TANENBAUMKEALE LLP Q""11i. lt;,. One Newark Center, 16th Floor 1141? ,,,,, .&,)

A <!),11 Newark, New Jersey 07102 "1\1,q C ,;tJ/{J (973) 242-0002 · visco,11, Attorney for Defendant CBS Corporation, a Delaware Corporation, 1/, J.s_C f/k/a Viacom Inc., successor by merger to CBS Corporation, a Pennsylvania Corporation, · f/k/a Westinghouse Electric Corporation

WILLIAM SAVAGE and CONNIE SAVAGE, Husband and Wife,

Plaintiffs,

-against-

AT&T CORPORATION, et al.,

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY DOCKET NO. MID-L-7305-15 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER GRANTING SUMMARY Defendants. JUDGMENT TO DEFENDANT

CBS CORPORATION

THIS MATTER having come before the Court on Motion of TANENBAUM KEALE

LLP, attorneys for defendant CBS Corporation, a Delaware Corporation, file/a Viacom Inc.,

successor by merger to CBS Corporation, a Pennsylvania Corporation, f/k/a Westinghouse

Electric Corporation. (hereinafter, "Westinghouse"), and the Court having reviewed the moving

and opposition papers, if any, and for good cause shown;

ITIS ON THIS 2,q+h dayof (\t\c{,Ch , 2018,

ORDERED that the motion of Defendant Westinghouse for summary judgment is hereby

GRANTED and the Complaint and any Counterclaims and Cross-Claims are hereby dismissed

with prejudice;

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

of the date hereof.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

84186804vl

I •

~c.J~· Honorable Ana C. Viscomi, J.S.C.

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ASBESTOS LITIGATION

MARGOLIS EDELSTEIN SUPERIOR COURT OF NEW JERSEY 100 Century Parkway, Suite 200 LAW DIVISION: MIDDLESEX COUNTY Mount Laurel, New Jersey 08054 (856) 727-6000 DOCKETNO.: MID-L-7305~AS By: Jeanine D. Clark l i. -;-., Attorney I.D. #: 016331998 ti, f">f) Attorneys for Defendant, Central Jersey

~,p; "'c

Supply Company "11\14 C .9 .:1J;J ·0s

Our File No.:65750.1-03206 co1w1, •v,

William Savage ASBESTOS LITIGATION ,c.,: Plaintiff,

Civil Action V.

ORDER FOR SUMMARY JUDGMENT AT&T Corp., et al. BY DEFENDANT, CENTRAL JERSEY

Defendants. SUPPLY COMP ANY

This matter having been brought before the Court on Motion of Margolis Edelstein,

attorneys for defendant, Central Jersey Supply Company, and the Court having reviewed the

moving and opposition papers, if any, and for good cause shown:

IT IS 011 this ,2,cr\tilay of f\t\CArch '2018,

ORDERED the motion of defendant, Central Jersey Supply Company, for summary

judgment is hereby granted and the Complaint and any Counterclaims and Crossclaims are

hereby dismissed with prejudice.

A copy of the within Order shall be sent to all counsel within seven (7) days of the date hereof.

[ ]J)pposed [ vf Unopposed

HONORABLE ANA C. VISCOMI, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

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McGivney Klnger & Cook, P.C. Marc J. Wisel, Esq. NJ ID #031052004 t,.,

18 Columbia Turnpike, 3rd Floor /(:./,,J Florham Park, New Jersey 07932 '&t,;; "'-;i~) (973) 822-1110 -11~ " < .9 .,. ,Z Attorneys for Defendant, DAP, Inc. k/n/a La Mirada Products Co., Inc. ("DAP") C: 0',s, <0,{9

Ca, ,, ., ,/ ·.s'c

WILLIAM SAVAGE and CONNIE SUPERIOR COURT OF NEW JERSEY. ·

SAVAGE, Husband and Wife; LAW DIVISION: MIDDLESEX COUNTY DOCKETNO. MID-L-7305-lS(AS)

Plaintiffs, Civil Action

-vs- Asbestos Litigation

AT&T CORPORATION, et.al; ORDER

Defendants.

THIS MATTER having been opened to the court on motion by McGivney Kluger &

Cook, P.C., attorneys for defendant DAP, Inc. kin/a La Mirada Products Co., Inc. ("DAP") for an

order granting summary judgment and a dismissal of all claims and crossclaims with prejudice,

and the court having reviewed the moving papers, and any opposition thereto and for good cause

having been shown;

IT IS on this ?, q t?ay of (Y'"\ CA ,c.h, 2018;

ORDERED that summary judgment shall be and hereby is granted in favor of defendant

DAP, Inc. k/n/a La Mirada Products Co., Inc. ("DAP"); and it is

FURTHER ORDERED that all claims and all crossclaims against defendant DAP, Inc.

kin/a La Mirada Products Co., Inc. ("DAP") shall be and hereby are dismissed with prejudice;

and it is

FURTHER ORDERED that a copy of this order shall be served upon all attorneys of

record within '1- days of receipt by counsel for the moving party.

Opposed

/ Unopposed

Honorable Ana C. Viscomi, J.S.C.

{Fl683842-l}

"Having reviewed the above motion, I find. It to be meritorious on its face and 1~ unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially fo:, the reasons set forth in the moving papers.

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TIERNEY LAW OFFICES, P.C. Mark G. Turner, Esquire Identification No. 032652001 Michael J. Murphy, Esquire Identification No. 025902012 1125 Land Title Bldg 100 S. Broad Street Philadelphia, PA 19110 (215)790-2400 [email protected] Our File Number: 49787-G

WILLIAM SAVAGE and CONNIE SAVAGE, husband and wife

Plaintiff( s ),

vs.

AT&T, INC., et al.,

Defendant(s).

Attorneys for Defendant: Elizabeth Industrial Supply Co., a division of Charles F. Guyon

SUPERIOR COURT OF NEW JERSEY MIDDLESEX COUNTY: LAW DIVISION

DOCKET NO. L-7305-15 AS CIVIL ACTION

ASBESTOS LITIGATION

ORDER

This matter having been brought to the Court on Motion of Tierney Law Offices, P.C.,

attorneys for Defendant, Elizabeth Industrial Supply Co., Inc., for an Order granting Summary

Judgment, and the Cami having reviewed the moving papers, and any opposition thereto and for

good cause shown,

,q-1-h (V\ I IT IS on this --'--c;-,.--'--__ day of_..__~~O~<r:~c.~1-::-----, _____ ,, 2018,

ORDERED that Summary Judgment be and is hereby GRANTED 111 favor of

Defendant, Elizabeth Industrial Supply Co., Inc., dismissing all claims of the Plaintiff and all

claims including cross-claims of all other parties against Elizabeth Industrial Supply Co., Inc.

with prejudice.

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IT IS FURTHER ORDERED that a copy of this Order shall be served upon all counsel

of record within seven (7) days of the date of this Order.

Opposed Unopposed

UA½C.u~ The Honorable Ana C. Viscomi, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

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\

1\1:CELROY, DEUTSCH, MULVANEY & CARPENTER, LLP 1300 Mt. Kemble Avenue P.O. Box 2075 Morristown, New Jersey 07962-2075 (973) 993-8100 Attorneys for Defendant Emerson Electric Co., incorrectly sued as Emerson Electric Company as successor to Pentair Valves and Controls, f/k/a Tyco Valves and Controls, Inc.

WILLIAM SAVAGE and CONNIE SAVAGE, Husband and Wife,

Plaintiffs, vs.

AT&T CORPORATION, f/k/a American Telephone and Telegraph Company, et al.,

Defendants.

~II..!:'. M.4fr 2 I)

41\14 C g 2019 ·0sca

nt1, J.s.e.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION, MIDDLESEX COUNTY

DOCKET NO. MID-L-7305-15AS

Civil Action Asbestos Litigation ORDER GRANTING MOTION TO

DISMISS TO DEFENDANT, EMERSON ELECTRIC CO., INCORRECTLY SUED AS SUCCESSOR TO PENTAIR VALVES AND CONTROLS, f/k/a TYCO VALVES

AND CONTROLS, INC.

THIS MATTER having been brought before the Court on Motion ofMcElroy, Deutsch,

Mulvaney & Carpenter, LLP, counsel for Defendant, Emerson Electric Co., incorrectly sued as

Emerson Electric Company as successor to Pentair Valves and Controls f/k/a Tyco Valves and

Controls, Inc., to dismiss Plaintiffs' Complaint, and the Court having considered the matter and

good cause appearing,

IT IS ORDERED, that the Motion of Defendant, Emerson Electric Co., incorrectly sued

as Emerson Electric Company as successor to Pentair Valves and Controls f/k/a Tyco Valves and

Controls, Inc., to Dismiss Plaintiffs' Complaint is GRANTED, and Plaintiffs' Complaint and all

crossclaims are hereby dismissed with prejudiced as to Defendant, Emerson Electric Co.,

inconectly sued as Emerson Electric Company as successor to Pentair Valves and Controls f/k/a

Tyco Valves and Controls, Inc.;

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IT IS FURTHER ORDERED, that a copy of this Order shall be served upon all counsel

of record within seven (7) days of the execution of this Order;

SO ORDERED on this J"i day of ~

( )j)pposed (10 Unopposed

-2-

, 2018

ANA C. VISCOMI, J.S.C.

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MCGIVNEY, KLUGER & COOK, P.C. 951-1052 18 Columbia Turnpike, 3rd Fl. fi::-,1. Florham Park, New Jersey 07932 AA

11~ . ( 1,_':::;;,,-...,

(973) 822-1110 '''4i? "',,.,; Attorneys for Defendant, A~ < !l ::'i),,(/ Flowserve Corporation f/k/a The Duriron Company, Inc. ~ C. Vi'Sc.

SUPERIOR COURT OF NEW JERSEY v,111, J.s.o William Savage and Connie Savage, husband LAW DIVISION-MIDDLESEX COUNTY

and wife, DOCKET NO.: MID-L-7305-ISAS

Plaintiff(s),

v.

AT&T Corporation, et al.,

Defendants.

Civil Action Asbestos Litigation

ORDER

THIS MATTER having been opened to the Court on Motion of McGivney, Kluger &

Cook, P.C., attorneys for Defendant, Flowserve Corporation f/k/a The Duriron Company, Inc., for

an Order granting said Defendant summary judgment in the within cause of action, and the Court

having reviewed the moving papers and for good cause shown;

IT IS on this 2q~y of Mcu-ch 2018;

ORDERED that the Motion for Summary Judgment of Defendant, Flowserve

Corporation f/k/a The Duriron Company, Inc. is hereby granted in favor of said Defendant and

that plaintiff's claims and any and all cross claims and/or third-party complaints asserted against

this Defendant are hereby dismissed with prejudice; and it is further;

ORDERED that a copy of this Order shall be served upon all attorneys of record within

seven (7) days of the date hereof.

__ i)pposed -~--11 Unopposed

Honorable Ana C. Viscomi, J.S.C.

"Having reviewed the above motion, I find It to be meritorious on its face and is unopposed. Pursuant lo R.1 :6-2, It therefore will be granted essentially for the reasons set forth In the moving papers."

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KELLEY JASQNS McGOWAN SPINELLI

HANNA & REBER, LLP Two Liberty Place - Suite 1900 50 South I 6th Street Philadelphia, PA 19102 (215) 854-065 8 W. Matthew Reber, Esquire Attorney ID No. 044031992 Angela Coll Caliendo, Esquire Attorney I.D. No. 025042001 Attorneys for Defendant FMC Corporation, on behalf of its former Peerless Pump business

WILLIAM SAVAGE AND CONNIE SAVAGE, Husband and Wife,

Plaintiffs,

V.

AT&T CORPORATION, et al, Defendants.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-7305-15 AS

FiiEJJ MAR 2 9 2DW

ANA C. VISCOM/, J.S.C.

ASBESTOS LITIGATION Civil Action

ORDER

TIDS MATTER having been brought before the Court on application of Kelley

Jasons McGowan Spinelli Hanna & Reber, attorneys for Defendant, FMC Corporation, on

behalf of its former Peerless Pump business, an Order granting summary judgment in its favor and

against Plaintiff, the Court having considered the moving and responding papers and the arguments of

counsel, if any, and for good cause appearing

IT IS on this '2.u\-\-hday of {V\c~,ch , 2018

ORDERED that Defendant, FMC Corporation, on behalf of its former Peerless Pump

business' Motion for Summary Judgment is hereby GRANTED and the Complaint and any

Counterclaims and Cross-Claims are hereby dismissed with prejudice.

IT IS FURTHER ORDERED that a copy of the within Order shall be served on all

parties within seven (7) days of the date hereof.

___ Opposed Lunopposed Ana C. Viscomi, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth In the moving papers.•

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David S. Blow Attorney I.D. No: 01951997 TANENBAUM KEALE LLP One Newark Center, 16th Floor Newark, New Jersey 07102 (973) 242-0002 Attorneys for Defendant Foster Wheeler LLC,

Fii.E'i) MAR 2 9 2013

ANA C. VISCOMJ, J.S.C. survivor to a merger with Foster Wheeler Corporation

WILLIAM SAVAGE and CONNIE SAVAGE, Husband and Wife, SUPERIOR COURT OF NEW JERSEY

LAW DIVISION: MIDDLESEX COUNTY DOCKET NO. MID-L-07305-15 AS

-against-

AT&T CORPORATION, et al.,

Plaintiffs,

CIVIL ACTION ASBESTOS LITIGATION

ORDER GRANTING SUMMARY Defendants. JUDGMENT TO DEFENDANT

FOSTER WHEELER LLC

THIS MATTER having come before the Court on Motion of TANENBAUM KEALE

LLP, attorneys for defendant Foster Wheeler LLC (hereinafter, "Foster Wheeler"), and the Court

having reviewed the moving and opposition papers, if any, and for good cause shown;

,'.:\('.lrth d f {Y).cAoch IT IS ON THIS--='-"-=--------- ay o ·---------~---' 2018,

ORDERED that the motion of Defendant Foster Wheeler for summary judgment is

hereby GRANTED and the Complaint and any Counterclaims and Cross-Claims are hereby

dismissed with prejudice;

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

of the date hereof.

84186804vl

Honorable Ana C. Viscomi, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, It therefore will be granted essentially for the reasons set forth In the moving papers."

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WILBRAHAM, LAWLER & BUBA By: David C. Weinberg, Esq. (Atty# 021161983) 30 Washington Ave., Suite B3 Haddonfield, NJ 08033-3341 (856) 795-4422 Attorney for Defendant, Greene, Tweed & Company, Inc. (incorrectly captioned as GREENE, TWEED & CO., LLP, Individually and as successor to Palmetto packings)

Fiit:iD MAR 2 9 20W

ANA C. VISCOMI, J.S.C.

WILLIAM SAVAGE and CONNIE SAVAGE, husband and wife,

Plaintiffs,

v.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION MIDDLESEX COUNTY NO. MID-L-7305-15-AS

CIVIL ACTION ASBESTOS LITIGATION

GREENE, TWEED & COMPANY, INC., et al.,

ORDER GRANTING MOTION FOR SUMMARY JUDGMENT BY DEFENDANT GREENE, TWEED & COMPANY, INC. Defendants.

This matter having come before the Court by Motion of Wilbraham, Lawler & Buba,

attorneys for Defendant Greene, Tweed & Company, Inc., and the Court having reviewed the

moving and opposition papers, if any, and for good cause shown:

IT IS ON THIS 2-l1-th day of fV\c( rcb 2018,

ORDERED that the motion of Greene, Tweed & Company, Inc. for summary judgment is

hereby granted and the Complaint and any Counterclaims and Cross-Claims are hereby dismissed

with prejudice.

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

of the date hereof.

__ ,,,,..,.0pposed V Unopposed

a,___c.J~ Hon. Ana C. Viscomi, J.S.C

"Having reviewed the above motion, I find_it to be meritorious on its face and 1~

unopposed. Pursuant to ~-1 :6-2, 11 therefore will be granted essentially for the reasons set forth in the moving papers."

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BY: MARK F. MACDONALD, ESQUIRE ATTY ID # 033541985 Styliades, Mezzanotte & Hasson 520 Walnut Street, Suite 1650 Philadelphia, PA 19106 215-627-3087 ATTORNEY FOR DEFENDANT, H.M. ROYAL, INC.

MAR 2 9 2Dl3

ANA C. VISCOM/, J.S.C.

WILLIAM SAVAGE AND CONNIE SAVAGE

Plaintiff,

vs.

H.M. ROYAL, INC., et al.

Defendants.

SUPERIOR COURT OF NEW JERSEY : LAW DIVISION-MIDDLESEX COUNTY

DOCKET NO.: L-7305-lSAS CIVIL ACTION

:ORDERFORSUMMARYJUDGMENT : OF DEFENDANT

ORDER

'Ibis matter having come before the Court on Motion of Styliades, Mezzanotte &Hasson,

attorneys for H.M. Royal, Co., and the Court having reviewed the moving and opposition papers, if

any, and for good cause shown;

ITIS ON THIS , 2018, ORDERED

that summary judgment is hereby granted and the Complaint and any Counterclaims and Cross­

Claims are hereby dismissed with prejudice.

ORDERED that a copy of this Order shall be served upon all counsel within seven (1) days

of the date hereof.

"Having reviewed the above motion, I find it to be meritorious on Its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth in the moving papers."

GL.-,c..J~-Honorable Ana C. Viscorni, J.S.C

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Pascarella DiVita PLLC 2137 Route 35, Suite 290 Holmdel, New Jersey 07733 732-847-9019 Madelyn Iulo - Attorney ID: 025051998 Attorneys for: Ingersoll Rand Company

IN THE MATTER OF ASBESTOS LITIGATION VENDED IN MIDDLESEX COUNTY

WILLIAM SAVAGE AND CONNIE SA VV AGE, Husband and Wife,

Plaintiff(s),

v.

AT&T CORPORATION, f/k/a American Telephone and Telegraph Company, et al.,

Defendant(s),

f,1AR 2 9 2D'/8

ANA C. VISCOMI, J.S.C.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. L-7305-15 AS

CIVIL ACTION ASBESTOS LITIGATION

ORDER

THIS MATTER having come before the Court on Motion of Pascarella DiVita, PLLC,

attorneys for Defendant, Ingersoll Rand Company (hereinafter "Ingersoll Rand"), and the Court

having reviewed the moving and opposition papers, if any, and for good cause shown;

IT IS ON THIS G C,\-\-h day of (\/\~ rth2018;

ORDERED that the motion for summary judgment by Defendant Ingersoll Rand is hereby

granted and the Complaint and any Counterclaims and Cross-Claims are hereby dismissed with

prejudice as to Defendant Ingersoll Rand, and it is further

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

of the date hereof.

Opposed __ Unopposed ✓ Honorable Ana C. Viscomi, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth In the moving papers."

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McGIVNEY, J(LUGER & COOK, P.C. Derrick A. Grant, Esq. (I.D. No. 165052015) 23 Vreeland Road, Suite 220 Florham Park, NJ 07932 973-822-1110

1 186-2848

Attorneys for the Defendant, Raritan Supply Company

WILLIAM SAVAGE and CONNIE SAVAGE, husband and wife;

Plaintiffs,

V.

AT&T CORP., et al.;

Defendants.

· '•vuu1v11, J.S.C.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO.: MID-L-7305-lSAS

Civil Action Asbestos Litigation

ORDER

THIS MATTER having been opened to the Court by application of Defendant, Raritan

Supply Company by and through its attorneys, McGivney, Kluger & Cook, P.C., for an Order

granting summary judgment in favor of Raritan Supply Company, and the Comi having read the

submissions of counsel and considered the oral argmnents presented, if any, and for good cause

having been shown,

IT IS on this c:..C1~ay of (Y'\Q,cb 2018;

ORDERED that the Motion for Summary Judgment of Defendant, Raritan Supply

Company, is hereby granted and that Plaintiffs claims and any and all cross-claims assetied

against Raritan Supply Company are hereby dismissed with prejudice; and it is further;

ORDERED that a copy of this Order shall be served upon all attorneys of record within

seven (7) days of the date hereof.

--~Opposed =-z Unopposed

{Fl683841-l}

Honorable Ana C. Viscomi, J.S.C.

"Having reviewed the above motion, I find_ it to be meritorious on its face and 1s unopposed. Pursuant to R.1 :6-2, it therefore will be granted essentially for the reasons set forth In the moving papers."

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MCGIVNEY, KLVGER & COOK, P.C. 18 Columbia Turnpike, 3rd Fl.

Florham Park, New Jersey 07932

(973) 822-1110 Attorneys for Defendant,

Safeguard Industrial Equipment Co.

William Savage and Connie Savage, husband

and wife,

FJLEi) MAR 2 9 2DW

ANA C. VISCOMJ, J.S.C.

324-9551

SUPERIOR COURT OF NEW JERSEY

LAW DIVISION-MIDDLESEX COUNTY

DOCKET NO.: MID-L-7305-ISAS

Plaintiff(s),

v.

AT&T Corporation, et al.,

Defendants.

Civil Action Asbestos Litigation

ORDER

THIS MATTER having been opened to the Court on Motion of McGivney, Kluger &

Cook, P.C., attorneys for Defendant, Safeguard Industrial Equipment Co., for an Order granting

said Defendant summary judgment in the within cause of action, and the Court having reviewed

the moving papers and for good cause shown;

IT JS on this ·a l-l~y of cY\o.<r(b 2018;

ORDERED that the Motion for Summary Judgment of Defendant, Safeguard Industrial

Equipment Co. is hereby granted in favor of said Defendant and that plaintiffs claims and any

and all cross claims and/or third-party complaints asserted against this Defendant are hereby

dismissed with prejudice; and it is further;

ORDERED that a copy of this Order shall be served upon all attorneys of record within

seven (7) days of the date hereof.

____))pposed _---~ V_ U Unopposed

I ~cu~, Honorable Ana C. Viscomi, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1 :6-2, it lherefore will be granted essentially for the reasons set forth in the moving papers."

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Scott M. Press (062132013) CONNELL FOLEY LLP ASBESTOS MOTION J:'/. 56 Livingston Avenue ~ · '(./!:/' Roseland, New Jersey 07068 1-'U ~if>? .9 V (973) 535-0500 ~ Q ½ <01.f Attorneys for Defendant, Superior Welding Supply, Inc. :Sco,w.

SAVAGE WILLIAM AND CONNIE, SUPERIOR COURT OF NEW JERSEY/, ~~C' Husband and Wife LAW DNISION: MIDDLESEX COUNTY ·

DOCKET NO. L-7305-l 5AS Plaintiffs,

vs.

SUPERIOR WELDING SUPPLY, INC.

Defendants.

CNILACTION

ORDER GRANTING SUMMARY JUDGMENT ON BEHALF OF

SUPERIOR WELDING SUPPLY, INC.

THIS MATTER having come before the Court on Motion of Connell Foley LLP,

attorneys for SUPERIOR WELDING SUPPLY, INC., and the Court having reviewed the

moving and opposition papers, if any, and for good cause shown;

IT IS on this ''2,0\ -\--~ay of (V\ A IC h__ 2018,

ORDERED that the motion for summary judgment of Defendant, Superior Welding

Supply, Inc., is hereby granted and the Complaint and any Counterclaims and Cross-Claims are

hereby dismissed with prejudice.

ORDERED that a copy ofthis Order be served on ali counsel within seven (7) days of the

date hereof.

-JPposed

_V_ Un nopposed

4376073-1

Cl«_._ c.J~ HON. ANA C. VISCOMI, J. S. C.

"Having reviewed the above motion, I find It to be meritorious on Its face and Is unopposed. Pursuant to R.1 :6•2, it therefore will be granted essantlally for the reasons set forth In tht moving Pt1pera, •

Page 105: Judge Ana Viscomi, J.S.C. Motions Returnable.../J • .·..... (·. ··• ..

40342-00151-PCJ MARSHALL, DENNEHEY, WARNER, COLEMAN & GOGGIN

BY: Paul C. Johnson, Esquire - NJ Attorney ID#: 023861991 /:j,7 J;;:,,;,,.,

15000 Midlantic Drive, Ste. 200 ll,,, ,;,;; V

P.O. Box 5429 M4R 2 . ' Mount Laurel, NJ 08054 4N4 !} 20/f] 'ir856-4I4-6ooo ~856-414-6077 c 11isc0111 g; [email protected] 'J.S.c Attorney for Defendant Warren Pumps, LLC (improperly pied as Warren Pumps, Inc.) ·

WILLIAM SAVAGE and CONNIE SUPERIOR COURT OF NEW JERSEY

SAVAGE, Husband and Wife LAW DIVISION

Plaintiff( s ), ASBESTOS LITIGATION MIDDLESEX COUNTY

vs. DOCKETNO.: MID-L-7305-15

AT&T, CORPORATION, F/K/A American CIVIL ACTION

Telephone and Telegraph Company, ET AL , ORJJER GRANTING MOTION FOR

Defendant(s). ( SUMMARY JUDGMENT ON BEHALF OF : DEFENDANTWARRENPUMP~LLC

----------------~

THIS MATTER having come before the Comt on Motion of Marshall, Dennehey,

Warner, Coleman & Goggin, attorneys for Defendant Warren Pumps, LLC, and the Court

having reviewed the moving and opposition papers, if any, and for good cause shown;

?{,( -th "" IT IS ON THIS __ ,-.., ____ DAY OF "'°' ,ch , 2018,

ORDERED the Motion of Defendant Warren Pumps, LLC, for Summaiy Judgment is

hereby granted and the Plaintiff's Complaint, as well as any and all Cross-Claims, are hereby

dismissed with prejudice.

ORDERED that a copy of this Order shall be served on all counsel within seven (7) days

of the date hereof.

ORABLE ANA C. VISCOMI, J.S.C.

"Having reviewed the above motion, I find it to be meritorious on its face and is unopposed. Pursuant to R.1:6-2, it therefore will be granted essentially tor the reasons set forth in the moving papers."

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Jack N. Frost, Jr. (State ID No. 025312005)

DRINKER BIDDLE & REATH LLP A Delmvare Limited Liability Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047

(973) 549-7000 Attorneys for Defendant Johnson & Johnson

RONALD MARTIN TEUSCHER and SHANNON TEUSCHER,

Plaintiffs,

V.

BRENNTAG NORTH AMERICA, INC. (sued individually and as successor-in­interest to MINERAL PIGMENT SOLUTIONS, INC. and as successor-in interest to WHITTAKER CLARI( & DANIELS, INC.), et al.

Defendants.

f:JLEo MAR 2 9 2fJi'8

AN. , ~ c. VtscoM1

,J.s.c.

SUPERIOR COURT OF NEW JERSEY LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-7249-1;,,_,•

/6 CIVIL ACTION

ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson, for an Order admitting Eric D. Cook, Esq., pro hac vice, and

the court having considered the submissions of the parties, and for good cause having been

shown:

IT IS this --"7-=t-~-\-_h __ day of _ _.c{\____:_____,_,_CA.o..:[,_· c==· I_"\.,,__ __ , 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson,

subject to the following conditions:

91409303.l

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1. Eric D, Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson and this matter involves complex product liability issues to which Mr. Cook is a

specialist;

2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. I :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against him or Drinker Biddle & Reath LLP that may arise out of his pmiicipation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Cami of any matter affecting his

standing at the Bm· of any other jurisdiction;

5. Eric D. Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of his inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (10)

days, pay the fees required by R. 1 :20-l(b), R. 1 :28-2 and R. 1 :28B-l(e) and submit an affidavit

of compliance;

2 91409303.1

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9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. I :20-1 (b ), R. I :28-2 and R.

l:28B-l(e);

10. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made )..

no later than February~ of each year; and

I 1. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel of record within seven (7) days of the date hereof.

This Motion was:

~_?pposed

_£Unopposed

91409303.1

Honorable Ana Viscomi, J.S.C.

3

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Jack N. Frost, Jr. (State ID No. 025312005)

DRINKER BIDDLE & REATH LLP A Delmvare limited liabi!Ny Partnership

600 Campus Drive Florham Park, New Jersey 07932-1047 (973) 549-7000 Attorneys for Defendant Johnson & Johnson Consumer, Inc.

RONALD MARTIN TEUSCHER and SHANNON TEUSCHER,

Plaintiffs,

V.

BRENNTAG NORTH AMERICA, INC. (sued individually and as successor-in­interest to MINERAL PIGMENT SOLUTIONS, INC. and as successor-in interest to WHITT AKER CLARK & DANIELS; INC.), et al. .

Defendants.

2

SUPERIOR COURT OF NEW JERSEY

LAW DIVISION: MIDDLESEX COUNTY

DOCKET NO. MID-L-7249-IT-

/ k:> CIVIL ACTION

ASBESTOS LITIGATION

ORDER ADMITTING ERIC D. COOK, ESQ.

PROHACVICE

THIS MATTER being opened to the Court by Drinker Biddle & Reath LLP, attorneys

for defendant Johnson & Johnson Consumer, Inc., for an Order admitting Eric D. Cook, Esq.,

pro hac vice, and the comi having considered the submissions of the parties, and for good cause

having been shown:

IT IS this , 2018 ORDERED that Eric

D. Cook, Esq. shall be and hereby is admitted pro hac vice for defendant Johnson & Johnson

Consumer, Inc., subject to the following conditions:

I. Eric D. Cook, Esq. has a prior existing attorney-client relationship with Johnson

& Johnson Consumer, Inc., and this matter involves complex product liability issues to which

Mr. Cook is a specialist;

91409303.1

- (

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2. Eric D. Cook, Esq. shall abide by the New Jersey Court Rules including all

disciplinary rules, R. 1 :20-1 and R. 1 :28-2;

3. Eric D. Cook, Esq. shall, and hereby does, consent to the appointment of the

Clerk of the Supreme Court as agent upon whom service of process may be made for all actions

against her or Drinker Biddle & Reath LLP that may arise out of her participation in this matter;

4. Eric D. Cook, Esq. shall immediately notify the Comt of any matter affecting his

standing at the Bar of any other jurisdiction;

5. Eric D. Cook, Esq. shall have all pleadings, briefs and other papers filed with the

court signed by an attorney of record authorized to practice in New Jersey and associated with

the law firm of Drinker Biddle & Reath LLP, who shall be held responsible for them, the

conduct of the litigation and the attorney admitted herein;

6. Eric D. Cook, Esq. cannot be designated as trial counsel pursuant to R. 4:25-4;

7. Eric D. Cook, Esq. shall not request to adjourn or delay in discovery, motions,

trial or any other proceeding by reason of her inability to appear;

8. Eric D. Cook, Esq. must make an annual payment to the Ethics Financial

Committee and to the New Jersey Lawyers Fund for Client Protection and shall, within ten (! 0)

days, pay the fees required by R. 1:20-l(b), R. 1:28-2 and R. l:28B-l(e) and submit an affidavit

of compliance;

9. The pro hac vice admission of Eric D. Cook, Esq. will automatically terminate for

failure to make the initial and any annual payment required by R. I :20-1 (b ), R. 1 :28-2 and R.

1:28B-l(e);

10. Automatic termination of Pro Hae Vice admission shall occur for failure to make

the required payment of the annual fee to the Lawyer's Assistance Fund and the NJ Lawyer's

2 91409303.1

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Fund for Client Protection. Proof of such payment, after filing proof of payment, shall be made

'.).-no later than February_)>( of each year; and

11. Non-compliance with any of the terms of this Order shall constitute grounds for

removal.

IT IS FURTHER ORDERED that a true copy of this Order shall be served upon all

counsel of record within seven (7) days of the date hereof.

This Motion was:

_____J)pposed

__lL_ Unopposed

91409303.1

3