Moses et al v. Griffin Industries, LLC et al
Filing
130
MEMO ENDORSEMENT on 129 granting 127 Letter Motion for Extension of Time to File. ENDORSEMENT: Application Granted. Opposition due May 29, 2020. Reply due June 19, 2020. The Clerk is directed to close ECF 127. SO ORDERED. (Signed by Magistrate Judge Ona T. Wang on 4/27/2020) (rro)
FOUNDED 1888
LYDIA KEANEY REYNOLDS
270 MADISON AVENUE
NEW YORK, NY 10016
212-545-4600
DIRECT DIAL: 212-545-4662
SYMPHONY TOWERS
750 B STREET - SUITE 1820
SAN DIEGO, CA 92101
619-239-4599
111 WEST JACKSON
SUITE 1700
CHICAGO, IL 60604
312-391-5059
FACSIMILE: 212-686-0114
reynolds@whafh.com
April 27, 2020
March 18, 2020
VIA ECF
Hon. Ona T. Wang
United States Magistrate Judge
Daniel Patrick Moynihan
United States Courthouse
500 Pearl Street
New York, New York 10007
Re:
Memo Endorsed
Moses v. Consolidated Edison Co. of New York, Inc., et al.,
No. 18-cv-1200-ALC-OTW
Dear Judge Wang:
We write in response to Defendant Con Edison’s April 24, 2020 letter to the Court
requesting a thirty-day extension of Defendants’ deadline to file their opposition to Plaintiffs’
Motion for Conditional Certification and Court-Authorized Notice Pursuant to 29 U.S.C. §
216(b) (Dkt. Nos. 114-116 and 123).
As Your Honor is likely aware, on April 17, 2020, a related action, Ballast v. Griffin
Indus., LLC, No. 1:20-cv-3108, was filed with this Court. We, as counsel for Plaintiffs in the
above-referenced Moses action, have been in communication with counsel for the Ballast
plaintiffs, and we have been able to coordinate an agreement to Defendant Con Edison’s request
to extend Defendants’ opposition deadline from April 29, 2020 until May 29, 2020. Thus,
Plaintiffs no longer oppose Defendant Con Edison’s request, and Plaintiffs request that the
deadline for Plaintiffs to file a reply memorandum be extended twenty-one days, from the
current deadline of May 29, 2020, to June 19, 2020.
Application Granted. Opposition due May 29, 2020. Reply due June 19, 2020
The Clerk is directed to close ECF 127.
SO ORDERED.
________________
Ona T. Wang 4/27/20
U.S.M.J.
In the coming days, the parties intend to file (i) a joint letter updating the Court on
various discovery-related matters; and (ii) a joint stipulation to consolidate this action and the
Ballast action, along with a proposed consolidated amended complaint.
Kind regards,
/s/ Lydia Keaney Reynolds___
Lydia Keaney Reynolds
cc:
/808731
All counsel (via ECF)
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