Schoolcraft v. The City Of New York et al
Filing
119
ENDORSED LETTER addressed to Judge Robert W. Sweet from Jon L. Norinsberg dated 11/15/2012 re: We respectfully request that the Court issue an Order authorizing us to send plaintiff Adrian Schoolcraft all of his files or. ENDORSEMENT: Counsel is relieved and may provide plaintiff with all records other than those designated "Attorneys Eyes Only" from which will be retained pending further proceedings. (Signed by Judge Robert W. Sweet on 11/15/2012) (cd)
NOV-15-2012
12124066890
LALJ OFF ICES
13:49
JON
P.02/03
L. NORINSBERG
ATTORNEY AT LAW
TRANSPORTATION BIJILDfNG
225 BROADWAY
SUITE 2700
NEW YOR'K, NEW YORK 10007
www.norinsberglaw.com
TEL (212) 791-5396
FAX (212) 406-6890
BRONX OFFICE
5938 FIELDSTON ROAD
Bl\ONX, NEW YORK 10471
JON
E~MA1L:
norinsberg@aoLcom
L. NOR1NS13ERG
[ffi ~N~~50~[ill
ALEX UMANSKY
Honorable Robert W. Sweet
United States District Court
Southern District of New York
500 Pearl Street, Room 1920
New York, New York 10007
Re~
JUDGE SWEET CHAMBERS
Schoolcraft v. Cia ofNew York, et al
10 CV 6005 (RWS)
Your Honor:
We write now to infoffil the Court that we have been relieved as counse1 for plaintiff Adrian
Schoolcraft. At the moment, no new counsel has been appointed, and we are not certain whether or
not plaintiff intends to retain new counsel, or instead, proceed pro .lie.
In the interim, plaintiffhas requested that we provide him with aU ofhis files relating to this
civil action. Under nonna1 circumstances, we would readily comply with such a request. However,
in light ofthe Attorneys Eyes Only protective order~ we seek guidance from the Court as to whether
or not we may provide plaintiff with records which have previously been designated "Attorneys Eyes
Only." It will be recalled that during our last conference, on November 7, 2012, the Court had
directed the parties to explore the possibility ofallowing plaintiff to have access to certain records
which had previously been designated as '·Attorneys Eyes Only." However, since we were relieved
as counsel for plaintiff, no such agreement was ever reached.
Based on the foregoing) we respectfully request that the Court issue an Order authorizing
us to send plaintiff Adrian Schoolcraft all ofhis files or, in the alternative) designating which records
may be sent to plaintiff at this time.
~lOIJ-15-2012
13: 49
12124066890
LAW OFFICES
P.03/03
We thank the Court for considerdtion of this request.
Respectfully submitted,
Cohen & Fitch, LLP.
cc:
Scoppetta SeiffKretz & Abercrombie
444 Madison Avenue
30th Floor
New York, N.Y. 10022-1010
Attn: Walter A Kretz, Jr., Esq.
Corporation Counsel
100 Church Street
Room 3-200
New York, New York 10007
Attn: Suzanna H. Publicker, Esq.
Martin, Clearwater & Bell, LLP
220 East 42 nd Street
New York, New York 10017
Gregory J. Radomisli, Esq.
Callan Koster Brady & Brennan, LLP
One Whitehall Street
loth Floor
New York, New York 10004
Attn: Bruce Brady, Esq.
Ivone, Devine & Jensen, LLP
2001 Marcus Avenue
Suite NIOO
Lake Success, New York 11042
Attn: Brian Lee
TOTAL P.03
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?