Schoolcraft v. The City Of New York et al
Filing
265
ENDORSED LETTER addressed to Judge Robert W. Sweet from Nathaniel B. Smith dated 7/22/2014 re: Accordingly, I am requesting, with the consent of all parties, that the discovery and motion deadlines set forth in the current Scheduling Order be each adjourned one week. ENDORSEMENT: SO ORDERED. (Signed by Judge Robert W. Sweet on 7/25/2014) (ama)
LAW 0FlflCE OF
NATHANIEL
B.
SMITH
ATTORNEY AT LAW
111 J3ROADWAYNEW
Yonx., NRw Yo:e.x 10000
NA;a-"NIEL E. SMrTn
Tll:l.; (212) 927-7062
FAX: (2l2) 349·4995
July 22, 2014 ___ _
USDCSDNY
DOCUMENT
Honorable Robert W. Sweet
United States District Judge
Southern District of 1· rew York
ELECTRONICALLY FILED
DOC#:
DATE FILED:
500 Pearl Street
New York, New Yorl·~ 10007
.
Schoolcraft: v. The City ofNew York, et al.,
1O-cv-6005 (R WS)
Dear Judge Sweet:
As plaintiffs cimnsel in the above-referenced action, I am submitting this
letter about the discm, ery schedule. Over the course of the last two weeks there
have been several um1 voidable delays in scheduling depositions before the July 18,
2014 fact discovery d1 ~adline. As a result, the parties have scheduled two
depositions for later t: d.s week. In. addition, the parties have discussed and agreed
that the current disco1,ery schedule should be adjusted one week so that all the
deadlines for discovery and motions set forth in the current Scheduling Order be
moved back one weeJ:.
Accordingly, I :tm requesting, with the consent of all parties, that the
discovery and motion deadlines set forth in the current Scheduling Order be each
adj oumed one week.
(:· .·.
:>u.
By Fax
212.805.7925
cc: All Counsel
1
I?, . . . ,/'.
$//CVVlf.
Re~p~ submitted,
g/~
/{:)'--l"'--<--c )V ~~athanie!B. Smith
7 ~ :;·-:_ / 1-
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