'Sborder That Counsel Contemplating Filing A Motion Under Fed.r.civ.p. 12 (b)(6), (e), Or (f), Shall First Contact Opposing Counsel To Discuss The Substance Of The Contemplated Motion And To Provide An Opportunity To Cure Any Alleged Pleading Deficiencies Or Strike Certain Matter. This Conference Shall Take Place At Least Seven Days Before The Filing Of The Motion; Etc.. Signed By Honorable Chad F. Kenney On 8/1/23. 8/1/23 Entered And E-mailed, Mailed To Unrep By Chambers.(jl) (entered: 08/01/2023)'
'Sborder That Defendants In The Above-captioned Matter Shall File A Disclosure Statement; Etc.. Signed By Honorable Chad F. Kenney On 8/1/23. 8/1/23 Entered And E-mailed, Mailed To Unrep By Chambers.(jl) (entered: 08/01/2023)'
'Sborder That Defendants Shall Answer Or Otherwise Plead To The Complaint By 8/30/23; Etc.. Signed By Honorable Chad F. Kenney On 8/1/23. 8/1/23 Entered And Mailed By Chambers To Unrep And E-mailed.(jl) (entered: 08/01/2023)'
'Sbdisclosure Statement Form Pursuant To Frcp 7.1 Including Adaptimmune Limited With Certificate Of Service By Adaptimmune Llc.(Resnick, Stephanie) (entered: 08/01/2023)'
'Sbstate Court Record Received From Court Of Common Pleas Of Philadelphia County. (ccp-philadelphia County Cv, ) (entered: 08/01/2023)'
Case number 2:23-cv-02917-CFK was filed in the U.S. District Court for the Eastern District of Pennsylvania on July 31.