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Home Court filings Children's Health Defense, Inc. v. Rutgers Notice of Motion for Recusal — Children's Health Defense v. Rutgers (D.N.J., 2021-09-03)

Court filing

Notice of Motion for Recusal — Children's Health Defense v. Rutgers (D.N.J., 2021-09-03)

Filed September 3, 2021 in Childrens Health Defense v. Rutgers; one of 33 filings from this case.

Record facts

Filed2021-09-03

No. 3:21-cv-15333-ZNQ-TJB · Doc. 17 · 2021-09-03 · Docket on CourtListener

Full text

Julio C. Gomez, Esq. 
GOMEZ LLC ATTORNEY AT LAW 
1451 Cooper Road 
Scotch Plains, NJ 07076 
Tel 908.789.1080 
Fax 908.789.1081 
Attorney for Plaintiffs 
 
 
UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF NEW JERSEY 
CHILDREN’S HEALTH DEFENSE, 
INC., PETER CORDI, RAELYNNE 
MILLER, KAYLA MATEO, ADRIANA 
PINTO, JAKE BOTHE, AND DOES 1-
13, 
 
Case No. 3:21-cv-15333 
(ZNQ-TJB) 
 
Plaintiffs, 
NOTICE OF MOTION 
FOR RECUSAL 
 
-against- 
 
 
PURSUANT TO 
RUTGERS, THE STATE UNIVERSITY 
OF NEW JERSEY, BOARD OF 
GOVERNORS, RUTGERS SCHOOL 
OF BIOMEDICAL AND HEALTH 
SCIENCES, CHANCELLOR BRIAN L. 
STROM, PRESIDENT JONATHAN 
HOLLOWAY, in their official capacities. 
 
28 U.S.C. § 455(a) 
Defendants 
 
 
PLEASE TAKE NOTICE that on Friday, September 3, 2021, 
or thereafter and as soon as this Court will allow, Plaintiffs Children’s 
Health Defense, Inc., Peter Cordi, Raelynne Miller, Kayla Mateo, Adriana 
Case 3:21-cv-15333-ZNQ-TJB   Document 17   Filed 09/03/21   Page 1 of 3 PageID: 158

 
2 
Pinto, Jake Bothe and DOES 1-13, through their undersigned attorney, shall 
make application to this Court for recusal pursuant to 28 U.S.C. § 455(a). 
Copies of Plaintiffs’ moving papers shall have been served on 
opposing counsel contemporaneously with this notice and with Plaintiffs’ 
application to the Court. 
 
Dated: September 3, 2021 
 
 
GOMEZ LLC 
 
 
 
 
 
 
 
ATTORNEY AT LAW 
 
 
 
 
 
 
 
 
 
By:  s/ Julio C. Gomez  
 
 
 
 
 
 
 
 
 
   Julio C. Gomez, Esq. 
 
1451 Cooper Road 
Scotch Plains, NJ 07076 
Tel 908.789.1080 
Fax 908.789.1081 
jgomez@gomezllc.com 
 
Attorney for Plaintiffs 
Case 3:21-cv-15333-ZNQ-TJB   Document 17   Filed 09/03/21   Page 2 of 3 PageID: 159

 
3 
CERTIFICATION OF SERVICE 
I hereby certify that on this same date, I electronically filed the 
foregoing Notice of Motion For Recusal Pursuant to 28 U.S.C. 455(a), a 
Legal Memorandum in support of the motion, a Declaration of Counsel with 
supporting exhibits, and a Proposed form of Order on behalf of Plaintiffs 
with the Clerk of the Court using the CM/ECF system, which shall forward a 
true copy of same to all counsel and parties participating therein for this 
matter. 
 
Dated: September 3, 2021 
 
 
GOMEZ LLC 
 
 
 
 
 
 
 
ATTORNEY AT LAW 
 
 
 
 
 
 
 
 
By:  s/ Julio C. Gomez  
 
 
 
 
 
 
 
 
 
   Julio C. Gomez, Esq. 
Case 3:21-cv-15333-ZNQ-TJB   Document 17   Filed 09/03/21   Page 3 of 3 PageID: 160

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