Tejada v. Ottomanelli's Cafe Franchising Corp. et al

Filing 20

ENDORSED LETTER addressed to Judge Shira A. Scheindlin from Allen B. Breslow dated 9/13/11 re: Counsel for the defendants writes on behalf of the parties to request an adjournment of the settlement conference presently scheduled for 9/19/11. ENDORSEMENT: The conference is adjourned until October 11, 2011 at 10 am. So ordered. ( Settlement Conference set for 10/11/2011 at 10:00 AM before Magistrate Judge James L. Cott.) (Signed by Magistrate Judge James L. Cott on 9/13/2011) (mro)

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Sep 13 2011 3:58PM ALLEN BRESLOld p.2 8315438305 6165 Jericho Turnpike Commack, New Vork 1172.5 Telephone (631)543-1191 ¢ Fax (631) 543-8305 Celli phone (631) 697-0117 e-mail: 2breslow~breslowla borlaws.wm Website: wwwlbreslowlaborlaws,com LAW OFFICE OF ALLEN B. BRESLOW USDCSDNY DOCUMENT ELECTRONICALLY 1. DOC#: ------~~~--~DATE FILED: --Io..;--'---i-_ September 13, 2011 1 BY FAX (212.805.7920) Honorable Shira A. Scheindlin United States District Judge United States District Court for the Southern District of New York 500 Peart Street New York, New York 10607 Re: ECEiIVE~ j SEP 1 3 ZOl1 f CH; ; ' . " ,.. ~~ JAMES CO fr U.S. .J. William Tejada and Eduardo Rosa v. Ottomanelli's Cafe Franchising Corp. et al. 11 CV2112 Request to Adjourn Settlement Conference Dear Judge Scheindlin: I am counsel to Defendants in the above matter and write on my clients' behalf and on behalf of Plaintiffs' counsel, William Cafaro, to advise the court of our progress in attempting to resolve this matter. After exchange of original discovery material we have embarked upon a prolonged but serious settlement discussion. At the present time, although the parties are not at settlement yet, we are gradually approaching a point where both counsel believe the case can be resolved. At this time the court's intervention Is not needed. We jointly request an adjournment of the settlement conference presently scheduled for September 19,2011 at 2:00 p.m. for one month to October 10,2011. We thank the court for its indulgence while we attempt to resolve this matter. Respectfully submltted l 1he ~ ~ 0 vt { rv-Z It} LO l/ p. J D ~ Lon (tvurd-i,jf-) V", -h I U ~ 10 tvr Allen B. Breslow CC: usoe SONY William Cafaro, Esq. by fax (212) 583-7401 Client I II'­ DATE SCANNEO_.....;q:..t.._' _...... ~ t I

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