Coventry Capital US LLC v. EEA Life Settlements, Inc. et al
Filing
292
ORDER granting 291 Letter Motion to Adjourn Conference. Defendant's letter-motion requesting an adjournment of the August 12, 2021 oral argument (ECF No. 291) is GRANTED, and the oral argument is ADJOURNED to Thursday, September 9, 2021 at 2 :00 pm on the Court's conference line. The parties are directed to call: (866) 390-1828; access code: 380-9799, at the scheduled time. The Clerk of Court is respectfully directed calendar this matter as an oral argument and to close ECF No. 291. (Oral Argument set for 9/9/2021 at 02:00 PM before Magistrate Judge Sarah L Cave.) (Signed by Magistrate Judge Sarah L Cave on 7/28/2021) (rro)
Case 1:17-cv-07417-VM-SLC Document 292 Filed 07/28/21 Page 1 of 1
Karl Geercken
VIA ECF
Defendant's letter-motion requesting an adjournment of the August 12, 2021
90 Park Avenue
oral argument (ECF No. 291) is GRANTED, and the oral argument is ADJOURNED
New York, NY 10016
to Thursday, September 9, 2021 at 2:00 pm on the Court's conference line. The
212-210-9400 | Fax: 212-210-9444
parties are directed to call: (866) 390-1828; access code: 380-9799, at the
scheduled time. The 212-210-9471
Direct Dial: Clerk of Court is respectfully directed calendar this matter
Email: karl.geercken@alston.com
as an oral argument and to close ECF No. 291.
July 28, 2021
SO ORDERED 7/28/2021
The Honorable Sarah Cave
United States Courthouse
500 Pearl Street
New York, NY 10007
Re:
Coventry Capital v. EEA Life Settlements Inc., No. 17-cv-07417
Dear Judge Cave:
We represent Defendant EEA Life Settlements, Inc. (“EEA Inc.”) in the above
referenced action. We write to respectfully request an adjournment of the August 12, 2021
conference. Unfortunately, counsel for EEA Inc. has a pre-existing conflict on August 12
and cannot participate in the conference scheduled for that day. Accordingly, EEA Inc.
respectfully requests that the conference be adjourned and rescheduled to either August 25
or September 9. The parties have conferred and all counsel consent to the adjournment and
are generally available on these days; however, the parties have a preference for August 25
should the Court have availability. This is the first request for an adjournment of the August
12 conference.
Furthermore, in light of a variety of logistical and travel issues, EEA Inc.
respectfully requests that the conference be conducted telephonically. Plaintiff Coventry
Capital US LLC does not oppose this request. However, should the Court prefer to conduct
the conference in-person, the parties will, of course, defer to the Court.
We appreciate the Court’s attention to these matters and are prepared to address
them further at the Court’s convenience.
Respectfully submitted,
Karl Geercken
cc:
Counsel of Record (via ECF)
Alston & Bird LLP
www.alston.com
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