Yoder, et al v. Town of Morristown, et al

Filing 15

Letter Motion from Plaintiffs' Counsel for Urie Hershberger, Menno L. Glick, Andy A. Miller, Dannie L. Swartzentruber, Mosie Swartzentruber, Levi Yoder, Peter D. Swartzentruber, Harvey Miller, Mose Miller, Jonas Zook, Sam Zook, John L. Hershberger, Menno S. Hershberger requesting an extension of the deadline to submit the Case Management Plan and a temporary adjournment of the Rule 16(b) conference submitted to Judge Lowe. (Kastner, Jessica)

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Yoder, et al v. Town of Morristown, et al Doc. 15 1585 Broadway New York, NY 10036-8299 Telephone 212.969.3000 Fax 212.969.2900 BOCA RATON BOSTON CHICAGO LONDON LOS ANGELES NEW ORLEANS NEWARK PARIS SÃO PAULO WASHINGTON Jessica J. Kastner Attorney at Law Direct Dial 212.969.3157 jkastner@proskauer.com Via electronic filing March 19, 2009 Hon. George H. Lowe United States Magistrate Judge Federal Building and U.S. Courthouse P.O. Box 7346 Syracuse, NY 13261-7346 Re: Yoder, et al. v. Town of Morristown, et al.; 7:09-cv-7 Dear Judge Lowe: We represent the Plaintiffs in the above-referenced matter and submit this letter to respectfully request an extension of the deadline to submit the Case Management Plan and an adjournment of the Rule 16(b) conference. Yesterday, we received notification that the Rule 16(b) conference had been rescheduled from April 29, 2009 to March 31, 2009, and that the Case Management Plan is now due on March 26, 2009. Although we do not wish to delay these proceedings, we request a brief extension of time in which to submit the Case Management Plan and an adjournment of the Rule 16(b) conference in light of the fact that we just received Defendants' Answer at the close of business on March 17, 2009. We respectfully submit that a date closer to April 29, 2009, the date of the originally scheduled Rule 16(b) conference, would be appropriate. Additionally, please note that our co-counsel, Eric C. Rassbach, is scheduled to appear for oral argument before the Fifth Circuit on April 1, 2009. Accordingly, we respectfully request that the Rule 16(b) conference not be held on that date. Defendants' counsel, Gregg T. Johnson, consents to the foregoing requests. Dockets.Justia.com March 19, 2008 Page 2 Respectfully, Jessica J. Kastner cc: Michael T. Mervis Lori H. Windham Eric C. Rassbach Gregg T. Johnson

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