Michigan Eastern District Court
Judge:Jonathan JC Grey
Referred: David R Grand
Case #: 2:24-cv-11060
Nature of Suit320 Torts - Personal Injury - Assault, Libel, & Slander
Cause28:1332 Diversity-Tort/Non-Motor Vehicle
Case Filed:Apr 22, 2024
Last checked: Monday Apr 22, 2024 6:08 PM EDT
Defendant
Trinity Health Corporation
Plaintiff
Dr. William S. Husel
Represented By
Robert S. Landy
Ford O'Brien LLP
contact info


Docket last updated: 10 hours ago
Tuesday, April 23, 2024
3 3 order Reassignment/Disqualification Tue 04/23 12:41 PM
ORDER REASSIGNING CASE from District Judge Paul D. Borman and Magistrate Judge Anthony P. Patti to District Judge Jonathan J.C. Grey and Magistrate Judge David R. Grand. (NAhm)
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2 2 service Summons Issued* Tue 04/23 9:53 AM
SUMMONS Issued for *Trinity Health Corporation* (TTho)
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notice Notice to Parties of Consent of a Civil Action before a Magistrate Judge Option Tue 04/23 9:52 AM
A United States Magistrate Judge of this Court is available to conduct all proceedings in this civil action in accordance with 28 U.S.C. 636c and FRCP 73. The Notice, Consent, and Reference of a Civil Action to a Magistrate Judge form is available for download at[LINK:http://www.mied.uscourts.gov] (TTho)
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Monday, April 22, 2024
1 1 cmp Civil Case - Complaint Mon 04/22 5:42 PM
COMPLAINT filed by William S. Husel against Trinity Health Corporation with Jury Demand. Plaintiff requests summons issued. Receipt No: AMIEDC-9761776 - Fee: $ 405. County of 1st Plaintiff: Out of State - County Where Action Arose: Wayne - County of 1st Defendant: Wayne. [ Previously dismissed case: U.S. District Court Eastern District of Michigan (Detroit), 2:23-cv-10845-JJCG-DRG, Judge Judge Jonathan J.C. Grey] [ Possible companion case(s): None ] (Landy, Robert)
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Att: 1 Exhibit 1 - Trinity Withdrawal of Motion to Seal,
Att: 2 Exhibit 2 - William Husel Declaration,
Att: 3 Exhibit 3 - David Ralston Deposition Excerpt,
Att: 4 Exhibit 4 - Beth Macioce-Quinn Deposition Excerpt,
Att: 5 Exhibit 5 - Daniel Roth Deposition Excerpt,
Att: 6 Exhibit 6 - Article by Dr. Elaine Chen,
Att: 7 Exhibit 7 - Rebecca McNeil Deposition Excerpt,
Att: 8 Exhibit 8 - Jon Downs Declaration,
Att: 9 Exhibit 9 - 2014 Palliative Ventilator Withdrawal Policy,
Att: 10 Exhibit 10 - 2017 Palliative Ventilator Withdrawal Policy,
Att: 11 Exhibit 11 - CDC Guidance on Opioid Prescribing,
Att: 12 Exhibit 12 - Medical Administration Policy,
Att: 13 Exhibit 13 - Randy Miles Deposition Excerpt,
Att: 14 Exhibit 14 - VOICE Reporting Policy,
Att: 15 Exhibit 15 - Larry Swanner Deposition Excerpt,
Att: 16 Exhibit 16 - Kathryn Barga Deposition Excerpt,
Att: 17 Exhibit 17 - K. Barga VOICE Report,
Att: 18 Exhibit 18 - November 19, 2018 Email,
Att: 19 Exhibit 19 - Sean McKibben Deposition Excerpt,
Att: 20 Exhibit 20 - November 21, 2018. Email,
Att: 21 Exhibit 21 - November 26, 2018 Dr. Swanner "Note to Chart" re: Meeting with Dr. Husel,
Att: 22 Exhibit 22 - Edward Lamb Deposition Excerpt,
Att: 23 Exhibit 23 - Incident Timeline,
Att: 24 Exhibit 24 - November 29, 2018 Dr. Swanner Notes,
Att: 25 Exhibit 25 - Reports,
Att: 26 Exhibit 26 - Rosalie Tocco-Bradley Deposition Excerpts,
Att: 27 Exhibit 27 - December 3, 2018 Dr. Tocco-Bradley Report,
Att: 28 Exhibit 28 - June 5, 2019 News Conference Transcript,
Att: 29 Exhibit 29 - Notes from Just Culture Committee Meeting,
Att: 30 Exhibit 30 - Maggie Curtis Deposition Transcript,
Att: 31 Exhibit 31 - December 8, 2018 National Communications Plan Draft,
Att: 32 Exhibit 32 - Earlene Romine Deposition Excerpt,
Att: 33 Exhibit 33 - December 7, 2018 Petition to Reinstate Husel,
Att: 34 Exhibit 34 - Melissa Lander Deposition Excerpt,
Att: 35 Exhibit 35 - Draft Strategy Memo,
Att: 36 Exhibit 36 - December 10, 2018 Email,
Att: 37 Exhibit 37 - January 28, 2022 Trinity Privilege Log,
Att: 38 Exhibit 38 - February 7, 2019 Lighthouse Phase 2 Communication Plan,
Att: 39 Exhibit 39 - Article in "Chest",
Att: 40 Exhibit 40 - December 15, 2018 Email,
Att: 41 Exhibit 41 - Lighthouse Process Overview and Script,
Att: 42 Exhibit 42 - December 18, 2018 Outreach to Patient Families Plan,
Att: 43 Exhibit 43 - December 19, 2018 Email,
Att: 44 Exhibit 44 - January 24, 2019 Media Statement,
Att: 45 Exhibit 45 - December 21, 2018 Email,
Att: 46 Exhibit 46 - February 7, 2019 Email,
Att: 47 Exhibit 47 - December 16, 2018 Spreadsheet,
Att: 48 Exhibit 48 - December 16, 2018 Dr. Tocco-Bradley Report,
Att: 49 Exhibit 49 - Brandi Wells Deposition Excerpt,
Att: 50 Exhibit 50 - "Villain Victim Vindicator" Analysis,
Att: 51 Exhibit 51 - Columbus Dispatch Article,
Att: 52 Exhibit 52 - December 19, 2018 Trinity Health Communication Plan and Playbook,
Att: 53 Exhibit 53 - January 6, 2019 Draft Letter,
Att: 54 Exhibit 54 - January 8, 2019 Email from E. Lamb discouraging the use of the term "fatal" with B. Gallaway response indicating Trinity's desire to use it,
Att: 55 Exhibit 55 - January 13, 2019 Handwritten Internal Meeting Notes,
Att: 56 Exhibit 56 - January 14, 2019 Mount Carmel Announcement Transcript,
Att: 57 Exhibit 57 - Mount Carmel Media Statements,
Att: 58 Exhibit 58 - February 22, 2019 Media Statement,
Att: 59 Exhibit 59 - January 17, 2019 Media Statement Draft,
Att: 60 Exhibit 60 - February 22, 2019 Email Congratulating Staff on "influencing" Columbus Dispatch Coverage,
Att: 61 Exhibit 61 - February 28, 2019 Joint Media Statement,
Att: 62 Exhibit 62 - June 11, 2019 Announcement Planning