Gonzalez Nunez et al v. R. Gross Dairy Kosher Restaurant Inc. et al

Filing 68

ORDER granting 67 Letter Motion to Adjourn Conference. The parties' joint Letter-Motion to adjourn the Settlement Conference scheduled for April 14, 2020 (ECF No. 67) is GRANTED. The Settlement Conference is rescheduled to Friday, April 17, 2020 at 2:00 pm, with submissions due by Monday, April 13, 2020. The Clerk of Court is respectfully directed to close ECF No. 67. SO-ORDERED. (Settlement Conference set for 4/17/2020 at 02:00 PM before Magistrate Judge Sarah L Cave.) (Signed by Magistrate Judge Sarah L Cave on 3/5/20) (yv)

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1345 AVENUE OF THE AMERICAS – 11TH FLOOR NEW YORK, NEW YORK 10105 TELEPHONE: (212) 370-1300 FACSIMILE: (212) 370-7889 www.egsllp.com VIA ECF Honorable Sarah L. Cave, U.S.M.J. United States District Court Southern District of New York 500 Pearl Street New York, New York 10007 Re: March 4, 2020 The parties' joint Letter-Motion to adjourn the Settlement Conference scheduled for April 14, 2020 (ECF No. 67) is GRANTED. The Settlement Conference is rescheduled to Friday, April 17, 2020 at 2:00 pm, with submissions due by Monday, April 13, 2020. The Clerk of Court is respectfully directed to close ECF No. 67. SO-ORDERED 3/5/2020 Nunez, et al. v. R. Gross Dairy Kosher Restaurant, Inc. et al. Case No. 18-CV-00861 (GBD)(SLC) Dear Judge Cave, We represent the Defendants in the above-referenced case. In accordance with the Court’s “Standing Order Applicable to Settlement Conferences Before Magistrate Judge Cave,” ¶ 9, and Your Honor’s Individual Rules, ¶ I(D), Defendants submit this letter motion to respectfully request that the settlement conference currently scheduled for Tuesday, April 14, 2020 be adjourned to a later date (See ECF Dkt. 66). The reason for this request is that April 14 is the Passover holiday and Defendants will not be in New York at that time to attend. Defendants have conferred with Plaintiffs, who consent to the requested adjournment, and all parties have confirmed availability on the following alternative dates and times:    May 12, 2020; May 13, 2020; or May 15, 2020 (morning availability only). This is Defendants’ first request to Your Honor to adjourn a settlement conference. We thank Your Honor for your willingness to assist the parties in resolving this matter. Respectfully yours, ELLENOFF GROSSMAN & SCHOLE LLP Ilan Weiser - Counsel to Defendants cc: Joshua Androphy - Counsel to Plaintiffs (via ECF) {00774537.DOCX.1}

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