Juscinska v. Drybar Holdings LLC
Filing
11
ORDER granting 10 Letter Motion for Extension of Time to File. Defendant's request is GRANTED. Defendant shall answer, move, or otherwise respond to the Complaint by February 19, 2021. The Initial Pretrial Conference scheduled for January 26, 2021 at 10:00 a.m. is adjourned to March 8, 2021 at 12:00 p.m. So Ordered. (Signed by Judge John P. Cronan on 1/8/2021) (js)
Case 1:20-cv-09300-JPC Document 11 Filed 01/08/21 Page 1 of 2
Seyfarth Shaw LLP
620 Eighth Avenue
New York, New York 10018
T (212) 218-5500
F (212) 218-5526
ssverdlov@seyfarth.com
T (212) 218-5547
www.seyfarth.com
January 8, 2021
VIA ECF
Hon. John P. Cronan
U.S. District Judge
U.S. District Court for the Southern District of New York
500 Pearl Street, Room 1320
New York, NY 10007
Re:
Juscinska v. Drybar Holdings, LLC,
Civil Action No.: 1:20-cv-09300-JPC (S.D.N.Y.)
Dear Judge Cronan:
This firm represents Defendant Drybar Holdings, LLC (“Defendant”) in the abovereferenced matter. We write, with the consent of Plaintiff Natalia Juscinska (“Plaintiff”),
to respectfully request: (1) a second thirty (30) day extension of time for Defendant to
respond to the Complaint, up to and including February 19, 2021; and (2) a thirty (30) day
adjournment of the Initial Pretrial Conference (“IPTC”) scheduled for January 26, 2021 to
a date on or after February 25, 2021.
By way of background, Plaintiff commenced this action on or about November 5,
2020. (ECF No. 1.) On November 6, 2020, the Court Ordered an IPTC for January 26,
2021, with a joint letter and proposed case management plan and scheduling order due
on January 19, 2021. (ECF No. 5.) On December 16, 2020, Defendant requested its first
extension of the responsive pleading deadline, from December 21, 2020 to January 20,
2021, which the Court granted that day. (ECF Nos. 8-9.)
This is Defendant’s second request for an extension of the responsive pleading
deadline, and first request for an adjournment of the IPTC. Defendant is requesting this
extension and adjournment to provide it with additional time to both investigate the
allegations in the Complaint, and consider a non-litigated resolution of this action with
counsel for Plaintiff. We have communicated with counsel for Plaintiff, and Plaintiff
consents to this request.
We respectfully submit this request in good faith and not to cause undue delay.
The granting of this application will not impact any other scheduled deadlines. We thank
the Court for its time and attention to this matter.
67512582v.1
Case 1:20-cv-09300-JPC Document 11 Filed 01/08/21 Page 2 of 2
Hon. John P. Cronan
January 8, 2021
Page 2
Respectfully submitted,
SEYFARTH SHAW LLP
/s/ Samuel Sverdlov
Samuel Sverdlov
cc:
All counsel of record (via ECF)
Defendant's request is GRANTED. Defendant shall answer, move, or
otherwise respond to the Complaint by February 19, 2021. The Initial
Pretrial Conference scheduled for January 26, 2021 at 10:00 a.m. is
adjourned to March 8, 2021 at 12:00 p.m.
SO ORDERED.
Date: January 8, 2021
New York, New York
67512582v.1
___________________________
JOHN P. CRONAN
United States District Judge
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?