Caro Capital, LLC et al v. Koch et al

Filing 121

ORDER granting 120 Letter Motion to Adjourn Conference. The parties' letter-motion requesting an adjournment of the November 22, 2021 settlement conference (ECF No. 120) is GRANTED, and the settlement conference is ADJOURNED to Tuesday, Marc h 22, 2022 at 2:00 pm on the Court's conference line. The terms of the Court's Standing Order Applicable to Settlement Conferences (ECF No. 43) are incorporated by reference, and the parties' pre-conference submissions are due by Wed nesday, March 16, 2022. The parties are directed to call: (866) 390-1828; access code: 380-9799, at the scheduled time. The Clerk of Court is respectfully directed to set this conference as a settlement conference and to close ECF No. 120. SO ORDERED. ( Settlement Conference set for 3/22/2022 at 02:00 PM before Magistrate Judge Sarah L Cave.) (Signed by Magistrate Judge Sarah L Cave on 11/17/21) (yv)

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SCOTT H. GOLDSTEIN MARTIN H. KAPLAN LAWRENCE G. NUSBAUM The parties' letter-motion requesting an adjournment of the November 22, 2021 settlement conference (ECFN USBAUM PLLC and the settlement conference is G USRAE K APLAN No. 120) is GRANTED, ADJOURNED to Tuesday,E Y S A T 22,W A T T O R N March L A 2022 at 2:00 pm on the Court's conference line. The terms of the Court's Standing Order Applicable to Settlement Conferences (ECF OF COUNSEL 2 0 W A L L S T R E E reference, O R No. 43) are1incorporated by T - 2 5 T H F L Oand the parties' pre-conference submissions ROBERT L. BLESSEY NEW YORK, are due by Wednesday, N E W Y O R K2022.5 The parties are directed to call: (866) March 16, 1 0 0 0 —– 390-1828; accessTcode:2380-9799, at the scheduled time. The Clerk of Court is EL ( 12) 269-1400 respectfully directed to2 set this-conference as a settlement conference and to close FAX ( 12) 809 4147 —– ECF No. 120. www.gusraekaplan.com SO ORDERED 11/17/2021 November 16, 2021 VIA ECF The Honorable Sarah L. Cave United States Magistrate Judge Daniel Patrick Moynihan United States Courthouse Courtroom 18A 500 Pearl Street New York, New York 10007-1312 RE: Caro Capital, LLC et al. v. Koch et al., No. 1:20-cv-06153-LJL Dear Judge Cave: We represent Plaintiffs–Counterclaim Defendants in the above-captioned action and write jointly with Defendants–Counterclaim Plaintiffs (together, the “Parties”) to respectfully request that the Court adjourn the November 23, 2021 settlement conference to March 2022. After timely exchanging settlement demands and responses, the Parties believe they remain much too far apart for next week’s scheduled settlement conference to be a productive use of the Court’s or the Parties’ time and resources. Defendants–Counterclaim Plaintiffs also desire to adjourn the settlement conference because they still have not received materials from certain third-party financial institutions pursuant to outstanding subpoenas that they issued in early September 2021. The Parties thank Your Honor for considering their request. Respectfully submitted, /s/ Kari Parks Kari Parks cc: All Counsel of Record (via ECF)

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