Patricio Agapito et al v. AHDS Bagel LLC et al
Filing
137
ORDER in case 1:16-cv-08170-JPO; terminating (63) Letter Motion for Extension of Time to File in case 1:17-cv-04127-JPO; terminating (52) Letter Motion for Extension of Time; terminating (54) Letter Motion for Extension of Time to File ; granting (58) Letter Motion for Extension of Time in case 1:18-cv-08321-JPO. The requested extension of time until February 19, 2020 to file the settlement fairness papers is GRANTED. The Court notes that this is the sixth extension of time, and the parties should not expect further extensions absent an extraordinary showing of good cause. The Clerk of Court is respectfully directed to close the Letter-Motions at ECF Nos. 52, 54 and 58. SO ORDERED. (Signed by Magistrate Judge Sarah L Cave on 2/6/20) Filed In Associated Cases: 1:16-cv-08170-JPO, 1:17-cv-04127-JPO, 1:18-cv-08321-JPO (yv)
MORRISON-TENENBAUM PLLC, ATTORNEYS-AT-LAW M-T-LAW.COM
87 WALKER STREET 2ND FLOOR NEW YORK NY 10013
PHONE 212.620.0938 FAX 646.998.1972
February 5, 2020
VIA ECF
Honorable Judge Sarah Cave
United States Magistrate Judge
United States District Court
40 Foley Square
New York, New York 10007
Re:
Agapito, et al. v. AHDS Bagel LLC, et al.; Case No. 16-cv-8170-JPO-SLC
Patricio, et al. v. AHDS Bagel LLC, et al.; Case No. 17-cv-4127-JPO-SLC
Neri, et al. v. Nussbaum, et al.; Case No. 18-cv-8321-JPO-SLC
Your Honor:
Our office represents Defendants in the above referenced matter. We write to request an
extension of time to submit the settlement fairness papers from February 5, 2020 to Wednesday,
February 19, 2020. The reason for the two-week extension is because one of the Defendants, who
is obliged to sign the settlement agreement, is currently abroad and is unable to sign the settlement
agreement. This is the sixth request for an extension of time and Plaintiffs’ counsel has consented
to the extension.
We thank the Court for its time and consideration.
The requested extension of time until February
19, 2020 to file the settlement fairness papers is
GRANTED. The Court notes that this is the sixth
extension of time, and the parties should not
expect further extensions absent an
extraordinary showing of good cause.
The Clerk of Court is respectfully directed to close
the Letter-Motions at ECF Nos. 52, 54 and 58.
SO ORDERED
2/6/2020
CC:
Joshua S. Androphy
Michael Faillace & Associates, P.C.
60 East 42nd Street
Suite 4510
Respectfully Submitted,
By: __/s/ Lawrence Morrison_____
Lawrence Morrison, Esq.
Morrison & Tenenbaum, PLLC
87 Walker Street, Floor 2
New York, New York 10013
Email: LMorrison@m-t-law.com
Attorneys for Defendants
New York, NY 10165
(212)-317-1200
Fax: (212)-317-1620
Email: jandrophy@faillacelaw.com
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