Castro v. 3920 BWY Rest Inc. et al

Filing 85

ORDER: granting 84 Letter Motion for Extension of Time to File. Granted. SO ORDERED. (Signed by Magistrate Judge Gabriel W. Gorenstein on 2/11/2020) (ama)

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Case 1:14-cv-09788-LTS-GWG Document 84 Filed 01/30/20 Page 1 of 2 108 West 39th Street, Suite 602 New York, New York 10018 Telephone: 212.583.7400 Facsimile: 212.583.7401 www.cafaroesq.com William Cafaro, Esq. ADMITTED IN NY, CA, MD & TX Email: bcafaro@cafaroesq.com Amit Kumar, Esq. Managing Attorney Louis M Leon, Esq. Associate ADMITTED IN NY Email: lleon@cafaroesq.com Andrew S. Buzin, Esq. Of Counsel ADMITTED IN NY & NJ Email: akumar@cafaroesq.com ADMITTED IN NY, FL & DC January 30, 2020 ViaECF Hon. Gabriel W. Gorenstein, U.S.M.J United States District Court Southern District of New y ork ~ ~ ~ n (\ 500 Pearl Street, Courtroom 6B ! 1.• i :/ ! New York, NY 10007 l\} C :'.:·;~;· -·-· ·-·---··--·~:J :,~_? U ENDORSED .- , .':_; i.J: -\ /j · 'i:-: ~ :J,-i~ _-'. .: '/'i""t T~Y E~'Tl.1l~D I ./ Re: Castro, et al v. 3920 BWY Rest. Inc. et al Case No. 14-cv-09788 (LTS) (GWG) .,. ?-/Ii "" --- .. ·- ·--· d () . ·--~---" -. -..»,..-•rl Your Honor, This firm represents the Plaintiffs in the above referenced action brought under the Fair Labor Standards Act ("FLSA") and New York Labor Law ("NYLL"). We write, with the consent of Answering Defendants' counsel, to request an extension of time to file the filings required in by Paragraphs 2, 4, 5, and 6 of Judge Swain's Order Regarding Pre-trial Requirements in this Matter. See, Doc. # 77. On January 15, 2020, the Court shortened the Parties deadline to make these filings to on or before February 19, 2020. The Parties are requesting a short, 30 day extension of this deadline from February 19, 2020 to March 20, 2020. No previous requests for an extension of time concerning these filings have been made. The Parties are requesting this relief for several reasons h M'ever the main reason is that the Parties have begun settlement discussions in earnest and ext nding this deadline will conserve the Defendants' litigation resources which may be used to pa the Plaintiffs in this action. Moreover, undersigned counsel has potential scheduling di 1culties due to two upcoming trials in the Southern and Eastern Districts ofNew York. We thank the Court for its courtesy in this regard. Respectfully submitted, LAW OFFICES OF WILLIAM CAFARO {J;k- l

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