Ramirez v. 2020 Grand Realty, LLC
ORDER granting 21 Letter Motion to Adjourn Conference. The initial pretrial conference, currently scheduled for February 24, 2021, is RESCHEDULED to April 7, 2021, at 4:00 p.m. The Clerk of Court is directed to terminate ECF No. 21. SO ORDERED.. (Signed by Judge Jesse M. Furman on 2/17/2021) Initial Conference set for 4/7/2021 at 04:00 PM before Judge Jesse M. Furman. (ks)
Case 1:20-cv-09385-JMF Document 22 Filed 02/17/21 Page 1 of 1
The initial pretrial conference, currently scheduled for February 24, 2021,
is RESCHEDULED to April 7, 2021, at 4:00 p.m. The Clerk of Court is
directed to terminate ECF No. 21. SO ORDERED.
February 17, 2021
Hon. Jesse M. Furman
United States District Judge
United States District Court
Southern District of New York
40 Centre Street, Room 2202
New York, NY 10007
February 17, 2021
Debora Ramirez v. 2020 Grand Realty, LLC, 20-CV-9385(JMF)
Adjournment of Initial Pretrial Conference_________________
Dear Judge Furman:
This letter is submitted jointly on behalf of the parties in the above-referenced case. In accordance
with Rule 1(E) of Your Honor’s Individual Rules and Practices in Civil Cases, the parties
respectfully request a short adjournment of the initial pretrial conference that is currently scheduled
for February 24, 2021 at 3:30 p.m. so that the parties may have one additional mediation session
with Professor Paul Radvany.
Your Honor referred the parties to mediation via a Mediation Referral Order dated November 12,
2020. (ECF No. 7.) The parties had their initial mediation session with Professor Radvany on
February 10, 2021. While the parties have not reached a settlement, they believe that progress has
been made and that it would be productive to have one additional mediation session before we
attend the initial pretrial conference and engage in discovery. The parties do not wish to delay this
case should we not settle after another mediation session and are hopeful that, should Your Honor
grant the adjournment request, the conference be adjourned for no more than 45 days if Your
Honor’s schedule can accommodate us.
Andrew Darcy, of counsel to
Tiffany Liston, Esq.
Mobilization for Justice, Inc.
Attorneys for Plaintiff
100 William Street, 6th Floor,
New York, NY 10038
Jay B. Solomon, Esq.
Belkin Burden Goldman, LLP
Attorneys for Defendant
270 Madison Avenue
New York, NY 10016
(212) 867-4466 (Ext. 497)
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