Tangtiwatanapaibul et al v. Tom & Toon Inc et al
Filing
180
ORDER terminating 179 Letter Motion to Compel. The Parties', together with their counsel shall appear in court on Thursday, January 9, 2020 at 2:00 p.m. in courtroom 17-D, United States Courthouse, 500 Pearl Street, new York, New York. SO ORDERED. (Signed by Magistrate Judge Katharine H. Parker on 12/19/2019) (ks)
TROY LAW, PLLC
ATTORNEYS / COUNSELORS AT LAW
Tel: (718) 762-1324 troylaw@troypllc.com Fax: (718) 762-1342
41-25 Kissena Boulevard, Suite 103, Flushing, NY 11355
December 18, 2019
Via ECF
Hon. Katharine H. Parker, U.S.M.J.
United States District Court
Southern District of New York
500 Pearl Street
New York, NY 10007
Re:
12/19/2019
Status Report and Letter Motion to Compel
1:17-cv-00816-LGS-KHP Tangtiwatanapaibul et al v. Tom & Toon Inc. et al
Dear Honorable Judge Parker:
Good afternoon your Honor. We respectfully submit this status report and request your
Honor to compel Mr. Minsley to respond to our email with the revised settlement agreement dated
November 7, 2019. We are very sorry for the delay in submitting the executed revised settlement
agreement. To put it simply, after the last conference that your Honor was generous enough to
hold on October 30, 2019 in order to facilitate the prompt full resolution of this case with a Cheeks
review, Defendants’ attorney has neither responded to our emails or answered our calls, to our
dismay. We will not be able to submit the fairness documents unless we have the signed settlement
agreement, and the agreement cannot be signed before it is finalized.
The telephone conference at issue was held before your Honor, Mr. Minsley, and our firm
on October 30, 2019. Soon after the conference, on November 7, 2019, we sent the revised
settlement reflecting your Honor’s suggestions. Thereafter, from then on till today, crickets. We
have reached out to multiple times to Defendants via email and by phone, but we simply cannot
finalize the settlement agreement as clean copy for our clients to sign or submit the fairness without
the other side’s input. As such, we would like to the court to compel Mr. Minsley to get back to us
either via email or by phone.
Plaintiffs thank the Court for its attention to and consideration of this matter.
Respectfully submitted,
TROY LAW, PLLC
/s/
John Troy
Attorney for Plaintiffs
cc: via ECF
all counsel of record
The Parties', together with their counsel shall appear in court
on Thursday, January 9, 2020 at 2:00 p.m. in courtroom 17D, United States Courthouse, 500 Pearl Street, new York,
New York.
12/19/2019
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