Endurance American Insurance Company v. Division 16 Construction Corp. et al
Filing
47
ORDER granting 46 Letter Motion to Adjourn Conference. The parties' request at ECF No. 46 is GRANTED, and the telephone conference scheduled for September 10, 2021 at 4:00 pm is ADJOURNED to Wednesday, September 15, 2021 at 3:00 pm. The par ties are directed to call: (866) 390-1828; access code: 380-9799, at the scheduled time. The Clerk of Court is respectfully directed to close ECF No. 46. SO ORDERED. ( Telephone Conference set for 9/15/2021 at 03:00 PM before Magistrate Judge Sarah L Cave.) (Signed by Magistrate Judge Sarah L Cave on 9/8/21) (yv)
Case 1:20-cv-08362-JPO Document 47 Filed 09/08/21 Page 1 of 1
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The parties' request at ECF No. 46 is GRANTED, and the telephone
conference scheduled for September 10, 2021 at 4:00 pm is
ADJOURNED to Wednesday, September 15, 2021 at 3:00 pm. The
parties are directed to call: (866) 390-1828; access code: 380-9799, at
September 8, 2021
the scheduled time.
MICHAEL C. DELANEY
(973) 425-8754
MDELANEY@MDMC-LAW.COM
By ECF
Hon. Sarah L. Cave, U.S.M.J.
United States District Court
Southern District of New York
500 Pearl Street, Room 1670
New York, NY 10007
RE:
The Clerk of Court is respectfully directed to close ECF No. 46.
SO ORDERED 9/8/2021
Endurance American Insurance Co. v. Division 16 Construction Co., et al.,
Case No. 20-cv-08362 (JPO) (SLC)
MDMC Case No. E0293-1155
Dear Judge Cave:
We represent Plaintiff, Endurance American Insurance Company (“Endurance”), in the
above referenced matter. In accordance section I (E) of Your Honor’s Individual Practices in Civil
Cases and the Order docketed as ECF Doc. No. 45, we respectfully submit this letter motion to
adjourn the telephonic conference currently scheduled for September 10, 2021 at 4 p.m. until any
day next week except for Thursday, at a time convenient for the Court.
The reason for the adjournment is to permit the pro se defendants to participate in the
conference. This is the first request for such relief. This application is made with the consent of
all parties.
We thank the Court in advance for its consideration and attention to this matter. Should
Your Honor have any questions or concerns, we will make ourselves available at the Court’s
convenience.
Respectfully submitted,
MCELROY, DEUTSCH, MULVANEY & CARPENTER, LLP
/s/ Michael C. Delaney
Michael C. Delaney
cc: All parties of record by ECF
McElroy, Deutsch, Mulvaney & Carpenter, LLP
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