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Search U.S. court opinions (CourtListener / Free Law Project), or resolve a reporter citation to its case via the Caselaw Access Project. Facts only — name, court, date, status, citation count. Never a holding-summary.

4 opinions for “Mitchell Allan Gunderson”

Roundy v. Staleypublic domain
Court of Appeals of Utah · 1999-07-22 · Published · cited 5× · 984 P.2d 404; 374 Utah Adv. Rep. 15; 1999 UT App 229; 1999 Utah App. LEXIS 105; 1999 WL 515564
OPINION GREENWOOD, Associate Presiding Judge: ¶ 1 Plaintiff Laina Roundy appeals from a jury verdict denying her damages in a personal injury suit as a result of the jury’s finding that she was sixty percent negligent and defendant, Travis Staley, was forty percent negligent. Roundy claims the trial court erred in refusing to grant her a new trial based on the improper admission and nondisclosure of testimon
District Court, N.D. California · 2016-12-01 · Published · cited 17× · 224 F. Supp. 3d 891; 2016 U.S. Dist. LEXIS 166913; 2016 WL 7013449
ORDER GRANTING DEFENDANT’S MOTION FOR SUMMARY JUDGMENT LUCY H. KOH, United States District Judge Vincent Marentes and Liudmila Bicheg-kueva (collectively “Plaintiffs”) bring the instant suit against State Farm Mutual Automobile Insurance Company (“Defendant”). Before the Court is Defendant’s Motion for Summary Judgment, or in the Alternative, Partial Summary Judgment. ECF No. 39 (“Mot.”). Having considere
Appellate Division of the Supreme Court of the State of New York · 2025-03-20 · Published · cited 0× · 2025 NY Slip Op 01717
Matter of Attorneys Who are in Violation of Judiciary Law Section 468-a for Failing to Register (2025 NY Slip Op 01717) Matter of Attorneys Who are in Violation of Judiciary Law Section 468-a for Failing to Register 2025 NY Slip Op 01717 Decided on March 20, 2025 Appellate Di
United States Tax Court · 1986-11-17 · Published · cited 192× · 87 T.C. 1087; 1986 U.S. Tax Ct. LEXIS 166; 87 T.C. No. 68
NlMS, Judge: In these consolidated cases, respondent determined aggregate deficiencies in excess of $61 million in petitioners’ Federal income taxes for the years 1975 through 1980.2 Each of the petitioners in these cases entered into a series of transactions herein sometimes referred to for convenience as the London Options Transaction. Th