The Pullman Group, LLC v. Isley et al
Filing
38
ORDER granting #36 Letter Motion to Adjourn Conference. Application granted. The pre-motion conference scheduled for October 15, 2020 is adjourned to October 20, 2020 at 3:00 p.m. The parties are directed to use the conference call dial-in information and access code noted in the Court's Emergency Rules in Light of COVID-19 available on the Court's website, and are specifically directed to comply with Emergency Rule 2(C). Telephone Conference set for 10/20/2020 at 03:00 PM before Judge Gregory H. Woods. (Signed by Judge Gregory H. Woods on 10/12/2020) (mro)
Case 1:20-cv-07293-GHW Document 38 Filed 10/13/20 Page 1 of 2
LEVIN-EPSTEIN & ASSOCIATES, P.C.
_____________________________________________________________________________________________
420 Lexington Avenue • Suite 2525 • New York, New York 10170
T: 212.792-0046 • E: Joshua@levinepstein.com
October 12, 2020
Via Electronic Filing
The Honorable Judge Gregory H. Woods
U.S. District Court, Southern District of New York
500 Pearl St.
New York, NY 10007-1312
Re:
USDC SDNY
DOCUMENT
ELECTRONICALLY FILED
DOC #:
DATE FILED: 10/13/20
The Pullman Group, LLC v. Isley et al
Case No.: 1:20-cv-07293-GHW
MEMORANDUM ENDORSED
Dear Honorable Judge Woods:
This law firm represents Plaintiff The Pullman Group, LLC (the “Plaintiff”) in the abovereferenced matter.
Pursuant to Your Honor’s Individual Motion Practice Rules 1(A) and 1(E), this letter
respectfully serves to request an adjournment of the Pre-Motion Conference scheduled for October
15, 2020 at 1:00 p.m. [see Dckt. No. 34], to a date and time set by the Court on or after October
19, 2020.
Prior to the filing of this letter, the undersigned attempted to confer with Defendants’
counsel to obtain their consent to the relief requested herein. However, Defendants’ counsel has
not responded to the undersigned’s conferral attempt. Thus, this request is not made on consent of
Defendants’ counsel.
The basis of the request is that the undersigned has a previously scheduled personal matter,
which conflicts with October 15, 2020 Pre-Motion Conference. This is the first request of its kind.
If granted, this request would not affect any other scheduled dates.
Thus, Plaintiff respectfully requests that the Pre-Motion Conference scheduled for October
15, 2020 at 1:00 p.m. [see Dckt. No. 34] be adjourned to a date and time set by the Court on or
after October 19, 2020.
Thank you, in advance, for your time and attention to this matter.
Respectfully submitted,
Respectfully submitted,
LEVIN-EPSTEIN & ASSOCIATES, P.C.
By: /s/ Joshua Levin-Epstein
Joshua Levin-Epstein
420 Lexington Avenue, Suite 2525
New York, NY 10170
1
Case 1:20-cv-07293-GHW Document 38 Filed 10/13/20 Page 2 of 2
Tel. No.: (212) 792-0046
Email: Joshua@levinepstein.com
Attorneys for Plaintiff
VIA ECF: All Counsel
Application granted. The pre-motion conference scheduled for October 15, 2020 is adjourned to October
20, 2020 at 3:00 p.m. The parties are directed to use the conference call dial-in information and access code
noted in the Court's Emergency Rules in Light of COVID-19 available on the Court's website, and are
specifically directed to comply with Emergency Rule 2(C).
SO ORDERED.
_____________________________________
Dated: October 12, 2020
New York, New York
GREGORY H. WOODS
United States District Judge
2
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?