Centauro Liquid Opportunities Master Fund, L.P. v. Bazzoni, et al.
Filing
357
ORDER granting 356 Letter Motion to Adjourn Conference. The within adjournment request is granted. The final pretrial conference is hereby adjourned to December 8, 2023, at 10:30 am. DE 356 is resolved. SO ORDERED. Final Pretrial Conference set for 12/8/2023 at 10:30 AM before Judge Laura Taylor Swain.. (Signed by Judge Laura Taylor Swain on 10/13/2023) (jca)
Case 1:15-cv-09003-LTS-SN Document 357 Filed 10/13/23 Page 1 of 1
MEMO ENDORSED
October 13, 2023
Via Electronic Filing
Hon. Laura Taylor Swain
United States District Court
for the Southern District of New York
Daniel Patrick Moynihan
United States Courthouse
500 Pearl Street
New York, NY 10007-1312
The within adjournment request is granted. The final
pretrial conference is hereby adjourned to December 8,
2023, at 10:30 am. DE 356 is resolved.
SO ORDERED.
October 13, 2023
/s/ Laura Taylor Swain, Chief USDJ
Centauro Liquid Opportunities Master Fund, L.P. v. Bazzoni, et al.,
No. 15-cv-9003 (LTS) (SN)
Your Honor:
I write on behalf of Plaintiff Centauro Liquid Opportunities Master Fund, L.P.
(“Centauro”) and Defendant CT Energia Ltd. (“CTEL” and, together with Centauro, the
“parties”) jointly, to request an adjournment of the pre-trial conference currently scheduled for
October 20, 2023. See Order, ECF 355 (Sept. 5, 2023).
Centauro is still awaiting a decision on its application, dated October 27, 2022, to the
U.S. Treasury Office of Foreign Assets Control (“OFAC”) seeking permission to enter into a
settlement regarding this litigation. As noted in the parties’ prior updates to the Court, the
application was made to OFAC given OFAC’s decision to designate certain of the defendants.
The parties respectfully request an adjournment of the pre-trial conference to provide
more time for OFAC review and, if the application is granted, for executing and carrying out the
proposed settlement filed with OFAC. The parties propose extending the conference date from
October 20, 2023, to December 1, 2023, or as soon thereafter as the Court deems appropriate.
Respectfully submitted,
/s/ Eric Brenner
Eric Brenner
David Barillari
Boies Schiller Flexner LLP
55 Hudson Yards
New York, NY 10018
212-446-2300
ebrenner@bsfllp.com
dbarillari@bsfllp.com
/s/ Matthew DeOreo (with consent)
Matthew G. DeOreo
Tacopina, Seigel & DeOreo
275 Madison Ave., Fl 35
New York, NY 10016
212-227-8877
mdeoreo@tacopinalaw.com
Counsel for Plaintiff Centauro Liquid
Opportunities Master Fund, L.P.
Counsel for CT Energia Ltd.
Copies to: Counsel of Record (via ECF)
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