Mikhlyn et al v. Bove et al

Filing 100

Second MOTION for Extension of Time to Complete Discovery by Ana Bove. (Kogan, Boris)

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Mikhlyn et al v. Bove et al Doc. 100 Case 1:08-cv-03367-ARR -RER Document 100 Filed 03/05/10 Page 1 of 1 BORIS KOGAN & ASSOCIATES ATTORNEYS AND COUNSELORS AT LAW 277 BROADWAY, SUITE 701 NEW YORK, NY 10007 TEL: (212) 625-8910 FAX: (212) 219-2728 March 5, 2010 Sent Via ECF To: Honorable Judge Ramon E. Reyes United States District Court Eastern District of New York 225 Cadman Plaza East Brooklyn, NY 11201 Re: Mikhlyn, et al. v. Bove, et al. Case No. 1:08-cv-3367 Honorable Judge Reyes: I write this letter in lieu of a joint letter by the parties regarding the status of discovery in this matter, which was to be submitted pursuant to Your Honor's instructions during a telephone conference held on January 26, 2010. The deposition of non-party conducted on March 1, 2010. witness Eugene Sakirski was Otherwise, the status of discovery between the parties remains unchanged due to my medical condition and the fact that Mr. Abeshouse, who was the law clerk handling the discovery at Boris Kogan & Associates has left the firm in January. Defendants request a 60 day extension of the discovery cutoff date. Plaintiffs have advised me that they strenuously object to the request and that they object to the language of a joint letter substantially in this form, and that they will file a separate letter. Very truly yours, /s/ Boris Kogan Boris Kogan (BK-9135) BK:ya Dockets.Justia.com

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