Schoolcraft v. The City Of New York et al
Filing
22
STIPULATION EXTENDING TIME TO ANSWER: It is hereby stipulated and agreed that the time for the defendant, DR. Lilian Aldana-Bernier, to serve an answer to the complaint, or to make any motion in lieu of answer, is extended to and including the day of October 4, 2010. So Ordered (Signed by Judge Robert W. Sweet on 9/14/2010) (js)
OUR FILE NO.: 090.155440
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UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
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ADRIAN SCHOOLCRAFT,
6005
-600tr·..-
Index NO.:; 10-CIV.
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Plaintiff,
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- against-
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THE CITY OF NEVV YOR, DEPUTY CHIEF MICHAEL
MARINO, Tax ID 873220, Individually and in his
Official Capacity, ASSISTANT CHIEF PATROL
BOROUGH BROOKLYN NORTH GERALD NELSON,
Tax ID 912370, Individually and in his Official Capacity,
DEPUTY INSPECTOR STEVEN MAURIELLO, Tax ID
895117, Individually and in his Official Capacity,
CAPTAIN THEODORE LAUTERBORN, Tax ID 897840,
Individually and in his Official Capacity, LIEUTENANT
JOSEPH GOFF, Tax ID 894025, Individually and in his
Official Capacity, SGT. FREDERICK SAWYER, Shield
No. 2576, Individually and in his Official Capacity,
SERGEANT KURT DUNCAN. Shield No. 2483.
Individually and in his Official Capacity, UI:::UTENANT
CHRISTOPHER BROSCHJ\R.-:, Tax it:; ::11 E,3!:.-4,
Individually and in his Official Capacity, LIEUTENANT
TIMOTHY CAUGHEY, Tax ID 885374, Individually
and in his Official Capacity, SERGEANT SHANTEL
JAMES, Shield No. 3004, and P.O.'s "JOHN DOE"
#1·-50, Individually and in their Official Capacity
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(the name John Doe being fictitious, as the true
names are presently unknown) (collectively referredi i .~
to as "NYPD defendants"), JAMAICA HOSPITAL \ i
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MEDICAL CENTER, DR. ISAK ISAKOV, Individually:
And in his Official Capacity, DR. LILIAN
ALDANA-BERNIER, Individually and in her Official
Capacity and JAMAiCA HOSPITAL MEDICAL
CENTER EMPLOYEE'S "JOHN DOE" # 1-50,
Individually and in their Official Capacity (the name
John Doe being fictitious, as the true names are
Presently unknown),
ST!PUl.ATION
EXTENDING TIME
TO ANSWER
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Defendants.
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IT IS HEREBY STIPULATED and agreed that the time for the defendant. OR.
LILIAN ALDANA-BERNIER, to serve an answer to the Complaint, or to make any motion
in lieu of answer, is extended to and including the day of October 4,2010.
A fully executed faxed copy of this Stipulation may be submitted to the Court.
Dated:
New York, New York
September 2, 2010
By: BRUCE M. BRADY, ESc((BMB4816)
Callan Koster Brady & Brennan, LLP
Attorneys for Defendant
LILIAN ALDANA-BERNIER, M.D.
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One VVnitehall Street, 10'" Fioor
New York, New York 10004
(212) 248-8800
bbrady@ckbblaw.com
By: JOSHUA FITC~, ESQ. (JF2813)
&j=itch, LLP
Attorneys for Plaintiff
225 Broadway, Suite 2700
New Yor";, NeW'Y'mK '1000/
(212) 374-9115
jfitch@cohenfitch.com
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SO ORDERED:
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United States District Judge
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