Your case is unique, but you are not alone.

About 41,000 new cases are filed in U.S. courts every weekday. Behind each one is a person trying to understand what happens next. Here’s what the public record can tell you about this matter — and about the people deciding it.

  • Know your judge

    Every judge has a pattern — what they grant, what they deny, how they handle the kinds of motions your case will see.

  • Know your attorney

    See an attorney’s actual track record — case types, courts, and how they’ve performed in front of this judge before.

  • Know your court

    Every courthouse has its own rhythm — filing-to-resolution times, common dispositions, how often cases like yours settle.

Is this judge more likely to rule for the plaintiff or the defendant in cases of this type?

How has your attorney actually performed in front of this judge?

AICasePredict surfaces patterns from public court records. We don’t predict outcomes and we don’t recommend changing your attorney — that’s a conversation for you and them. We just show you what the record already says.

Full Analytics Report

  • Complete case narrative
  • Judge details and rulings
  • Case disposition and outcome
  • All docket entries
  • Related cases and filings
$20
One-time purchase

Case Information

Filed 2024-06-27
Status Open
Type Tort Medical Malpractice
Docket 189 entries
Disposition without prejudice

Parties

Plaintiff Julie Waller, Individually And On Behalf Of The Estate Of Larry James Waller, Deceased
Defendant Levine, Mathew E., Doctor Of Osteopathi | Patel, Ketan M., M.d. | Reginbald, Laura | Park, Jin, M.d. | Resurgens, Llc D/b/a Resurgens Orthopaedics | Northside Hospital, Inc. D/b/a Northside Hospital Forsyth | Northside Radiology Associates, Llc
Photo of Hon. Alvin Wong

Judge

Hon. Alvin Wong

DeKalb County (GA)

Georgia

View Judge Profile

Lawyers

Docket Entries

  1. Complaint
  2. Comment Complaint
  3. General Civil Information Form
  4. Comment Civil Information Form
  5. Summons
  6. Comment (Dr. Levine)
  7. Summons
  8. Comment (North Atlanta Professional Svcs)
  9. Summons
  10. Comment (Northside Hospital)
  11. Summons
  12. Comment (Northside Radiology Assoc)
  13. Summons
  14. Comment (Dr. Park)
  15. Summons
  16. Comment (Dr. Patel)
  17. Summons
  18. Comment (NP Reginbald)
  19. Summons
  20. Comment (Resurgens Ortho Partners)
  21. Summons
  22. Comment Summons (Resurgens LLC)
  23. Request for Productions of Documents
  24. Comment Plaintiff's 1st Interrogatories and Requests for Production to Dr. Levine
  25. Request for Productions of Documents
  26. Comment Plaintiff's 1st Interrogatories and Requests for Production to North Atlanta Professional Svcs
  27. Request for Productions of Documents
  28. Comment Plaintiff's 1st Interrogatories and Requests for Production to Northside Hospital
  29. Request for Productions of Documents
  30. Comment Plaintiff's 1st Interrogatories and Requests for Production to Northside Radiology Assoc
  31. Request for Productions of Documents
  32. Comment Plaintiff's 1st Interrogatories and Requests for Production to Dr. Park
  33. Request for Productions of Documents
  34. Comment Plaintiff's 1st Interrogatories and Requests for Production to Dr. Patel
  35. Request for Productions of Documents
  36. Comment Plaintiff's 1st Interrogatories and Requests for Production to NP Reginbald
  37. Request for Productions of Documents
  38. Comment Plaintiff's 1st Interrogatories and Requests for Production to Resurgens LLC
  39. Request for Productions of Documents
  40. Comment Plaintiff's 1st Interrogatories and Requests for Production to Resurgens Ortho Partners
  41. Notice
  42. Comment Plaintiff's Notice of Filing Affidavits of Service
  43. Acknowledgment of Service
  44. Comment Acknowledgement of Service of Defendants Dr. Levine, Resurgens LLC and Resurgens Ortho Partners
  45. Answer
  46. Comment Defs Park and NRA's Answer to Pltf's Complaint
  47. Jury Demand
  48. Comment Defs Park and NRA's Jury Demand
  49. Answer
  50. Comment Answer of Defendant North Atlanta Professional Services, LLC
  51. Answer
  52. Comment Answer of Defendant Northside Hospital, Inc.
  53. Certificate of Discovery
  54. Comment Certificate of Discovery reflecting service of Dft Northside Hospital's Discovery to Plaintiff
  55. Answer
  56. Comment Answer of Defendant Laura Reginbald, NP
  57. Answer
  58. Comment Answer of Defendant Ketan M. Patel, M.D.
  59. Notice of Leave of Absence
  60. Comment Notice of Leave of Absence - Chiaka U. Adele
  61. Jury Demand
  62. Comment Demand for Trial by a Jury of Twelve Persons
  63. Answer
  64. Comment Defendant Mathew E. Levine, D.O.'s Answer and Defenses to Plaintiff's Complaint
  65. Answer
  66. Comment Defendant Resurgens, LLC d/b/a Resurgens Orthopaedic's Answer and Defenses to Plaintiff's Complaint
  67. Answer
  68. Comment Defendant Resurgens Ortho Partners, LLC's Answer and Defenses to Plaintiff's Complaint
  69. Notice of Leave of Absence
  70. Comment BWK LOA 2024
  71. Notice of Leave of Absence
  72. Comment JEH LOA 2024
  73. Rule 5.2
  74. Comment Rule 5.2 COS re Defs Park and NRA's Discovery Responses
  75. Rule 5.2
  76. Comment Rule 5.2 COSD re Defs Park and NRA's First Discovery to Pltfs
  77. Certificate of Service
  78. Comment Rule 5.2
  79. Certificate of Discovery
  80. Comment Certificate of Discovery reflecting service of Dfts Northside Hospital, North Atlanta Prof Srvc, and NP Reginbald's Rsp to Pltfs 1st Rogs and 1st RPDs
  81. Certificate of Discovery
  82. Comment Certificate of Discovery reflecting service of Dft Patel's Rsp to Pltfs 1st Rogs and 1st RPDs
  83. Certificate of Service
  84. Comment Certificate of Service of Discovery Materials
  85. Rule 5.2
  86. Comment Rule 5.2 (Plaintiff's Responses and Objections to Northside Hospital's Interrogatories and Requests to Produce)
  87. Rule 5.2
  88. Comment Rule 5.2 (Plaintiff's Responses to Dr. Park's 1st Interrogatories & Requests to Produce)
  89. Notice of Leave of Absence
  90. Comment John E. Hall LOA 2025
  91. Certificate of Service
  92. Comment Certificate of Service of Discovery Materials
  93. Certificate of Discovery
  94. Comment Certificate of Discovery reflecting service of First Supplemental Response of Defendant Northside Hospital, Inc. to Plaintiffs First Requests for Production of Documents and Electronically Stored Information
  95. Certificate of Service
  96. Comment Rule 5.2
  97. Certificate of Discovery
  98. Comment Certificate of Service of Discovery Materials
  99. Certificate of Discovery
  100. Comment Certificate of Discovery reflecting service of the Second Supplemental Response of Defendant Northside Hospital, Inc. to Plaintiffs First Requests for Production of Documents and Electronically Stored Information
  101. Motion
  102. Comment Plaintiff's Motion for Order Dropping Parties (and proposed order)
  103. Certificate of Service
  104. Comment Certificate of Service
  105. Rule 5.2
  106. Comment Rule 5.2 (Plaintiff's Notice of Depositions of Defendants Park, Patel & Levine)
  107. Rule 5.2
  108. Comment Rule 5.2 Certificate of Service of Discovery
  109. Order
  110. Comment Order dropping Resurgens Ortho Partners, LLC and North Atlanta Professional Services, LLC without prejudice
  111. Certificate of Service
  112. Comment Rule 5.2 (Notice of Depositions of Defendants Park and Reginbald)
  113. Certificate of Service
  114. Comment Rule 5.2 (Plaintiff's Responses and Objections to Defendant Levine's Interrogatories & Requests to Produce)
  115. Amended
  116. Comment First Amended Complaint
  117. Certificate of Discovery
  118. Comment Certificate of Discovery reflecting service of the Request for Production of Documents to Non-Parties Northside Cardiology, Hogan Healthcare Center, PC, Maxa Internal Medicine Associates, Forsyth Foot & Ankle Associates, Northwest ENT & Allergy Center, Johns Creek Gastroenterology, North Atlanta ENT & Allergy, Georgia Urology and Wellstar Medical Group
  119. Notice of Leave of Absence
  120. Comment BWK LOA 2025
  121. Notice of Leave of Absence
  122. Comment Notice of Leave of Absence - Chiaka U. Adele
  123. Answer
  124. Comment Answer of Defendant Northside Hospital, Inc. to Plaintiff's Amended Complaint
  125. Answer
  126. Comment Answer of Defendant Ketan M Patel MD to Plaintiff's Amended Complaint
  127. Answer
  128. Comment Answer of Defendant Laura Reginbald, NP to Plaintff's Amended Complaint
  129. Motion to Compel
  130. Comment Plaintiff's Motion to Compel an Index of Clinical Policies
  131. Answer
  132. Comment Defendant Resurgens, LLC Answer to Plaintiff's First Amended Complaint
  133. Answer
  134. Comment Defendant Mathew E. Levine, D.O.'s Answer to Plaintiff's First Amended Complaint
  135. Certificate of Discovery
  136. Comment RPD COS
  137. Notice of Withdrawal
  138. Comment Plaintiff's Withdrawal of Notice to Take the Deposition of Dr. Levine
  139. Notice of Withdrawal
  140. Comment Plaintiff's Withdrawal of Notice to Take the Deposition of Dr. Park
  141. Notice of Withdrawal
  142. Comment Plaintiff's Withdrawal of Notice to Take the Deposition of Dr. Patel
  143. Response
  144. Comment Defendant Northside Hospital, Inc.s Response in Opposition to Plaintiffs Motion to Compel an Index of Clinical Policies and Motion For Protective Order and Brief In Support Thereof
  145. Certificate of Service
  146. Comment 5.2 Certificate of Service
  147. Rule 5.2
  148. Comment Rule 5.2 (Plaintiff's 2nd Amended Notice of Deposition of Defendant Dr. Park & Amended Notice of Deposition of Dr. Levine)
  149. Certificate of Discovery
  150. Comment Certificate of Discovery reflecting service of Defendant Laura Reginbald, N.P.s Responses and Objections to Plaintiffs Notice to Take the Recorded Deposition of Laura Reginbald, NP and Notice To Produce.
  151. Response
  152. Comment Plaintiff's Response to Defendant Northside Hospital's Motion for a Protective Order & Reply In Support of her Motion to Compel
  153. Rule 5.2
  154. Comment Rule 5.2 (Plaintiff's Response to Defendant Park's 2nd Requests for Production)
  155. Rule 5.2
  156. Comment Rule 5.2 (Plaintiff's 2nd Requests to Produce to Defendant Northside Hospital)
  157. Notice of Leave of Absence
  158. Comment Notice of Leave of Absence (Shamp)
  159. Brief Filed
  160. Comment Defendant Northside Hospital, Inc.'s Sur-Reply Brief in Response to Plaintiff's Motion to Compel an Index of Clinical Policies and Response in Further Support of Its Motion for Protective Order
  161. Rule 5.2
  162. Comment Rule 5.2 (Plaintiff''s Amended Notice of Deposition of Defendant Dr. Patel and Notice to Produce)
  163. Certificate of Service
  164. Comment Certificate of Service
  165. Court Order
  166. Comment Motion to Compel and Motion for Protective Order Denied
  167. Certificate of Discovery
  168. Comment Certificate of Discovery reflecting service of the Response of Defendant Northside Hospital, Inc. to Plaintiffs Second Requests for Production of Documents and Electronically Stored Information to Defendant Northside Hospital, Inc. d/b/a Northside Hospital Forsyth
  169. Certificate of Discovery
  170. Comment Certificate of Discovery reflecting service of the Third Supplemental Response of Defendant Northside Hospital, Inc. to Plaintiffs First Requests for Production of Documents and Electronically Stored Information on May 12, 2025
  171. Notice of Leave of Absence
  172. Comment Notice of Leave of Absence - Chiaka U. Adele
  173. Certificate of Service
  174. Comment Rule 5.2 Certificate of Discovery
  175. Entry of Appearance
  176. Comment Entry of Appearance/Substitution of Counsel - HCM
  177. Rule 5.2
  178. Comment Rule 5.2 (Requests to Produce to Defendants by Plaintiff)
  179. Notice of Withdrawal
  180. Comment Plaintiff's Withdrawal of Notice of Deposition of Defendant Patel
  181. Rule 5.2
  182. Comment Rule 5.2 Certificate of Discovery
  183. Certificate of Discovery
  184. Comment Certificate of Service of Discovery Materials
  185. Certificate of Discovery
  186. Comment Certificate of Discovery reflecting service of the Response of Defendant Northside Hospital, Inc. to Plaintiffs Third Requests for Production of Documents and Electronically Stored Information
  187. Rule 5.2
  188. Comment Rule 5.2 (Plaintiff's 2nd Amended Notice of Deposition to Dr. Patel)
  189. Certificate of Discovery

See the patterns behind this case

The free view above tells you who’s in the room. The detailed reports below show how the room tends to behave — using the same public records lawyers quietly rely on before every hearing.

  • Judge Report

    How this judge has ruled in cases like yours — case mix, motion outcomes, and historical docket. Judges set the floor of what’s possible in your courtroom.

  • Attorney vs Judge Report

    Everything in the Judge Report, plus how your attorney has actually performed in front of this judge. Attorneys move you off the floor — or don’t.

Get Free Case Details

Enter your email to receive case information including parties, docket entries, and status updates.

By submitting you agree to our Privacy Policy.

Need this case removed? Enter your email above — the confirmation email includes a case removal link.

Full Analytics Report

  • Complete case narrative
  • Judge details and rulings
  • Case disposition and outcome
  • All docket entries
  • Related cases and filings
$20
One-time purchase