Mancilla et al v. All American Laundry Service, Inc. et al
Filing
15
ORDER granting 14 Letter Motion to Adjourn Conference. The application is GRANTED. The initial pretrial conference scheduled for February 18, 2021, (Dkt. No. 9) is ADJOURNED to March 18, 2021, at 10:40 a.m. The conference will be telephonic and will occur on the following conference line: 888-363-4749, access code: 5583333. The time of the conference is approximate, but the parties shall be prepared to begin at the scheduled time. By March 11, 2021, the parties shall file the joint letter and proposed case management plan. Initial Conference set for 3/18/2021 at 10:40 AM before Judge Lorna G. Schofield. (Signed by Judge Lorna G. Schofield on 2/16/2021) (cf)
Case 1:20-cv-10255-LGS Document 15 Filed 02/16/21 Page 1 of 2
Law Offices of Colin Mulholland
Employment and Civil Litigation
30-97 Steinway Street.
Suite 301-A
Astoria, NY 11103
Telephone: (347) 687-2019
cmulhollandesq@gmail.com
Honorable Lorna G. Schofield
United States District Judge
40 Foley Square
New York, NY 10007
The application is GRANTED. The initial pretrial conference scheduled for
February 18, 2021, (Dkt. No. 9) is ADJOURNED to March 18, 2021, at 10:40
a.m. The conference will be telephonic and will occur on the following
conference line: 888-363-4749, access code: 5583333. The time of the
conference is approximate, but the parties shall be prepared to begin at the
scheduled time. By March 11, 2021, the parties shall file the joint letter and
proposed case management plan.
Dated: February 16, 2021
New York, New York
Re: Mancilla, et al. v. All American Laundry Services, Inc. et al,
20-cv-10255 (LGS)
Your Honor,
Plaintiff writes to the Court to respectfully request an adjournment of the currently
scheduled initial conference until a date in late March or early April at the Court’s
convenience.
Since serving the Summons and Complaint, an attorney representing Defendant
Martin has reached out to the undersigned hoping to engage in settlement discussions preanswer. This attorney represents Defendant Martin in an unrelated legal matter and, as I
understand it, is not empowered to appear yet and asked to engage in settlement discussions
before having to be formally retained.
The undersigned is welcome to such discussions but the parties needed a bit more
time to discuss amongst all parties a potential resolution.
If it pleases the Court, perhaps the initial conference can be adjourned four or six
weeks to see if the parties can resolve the matter or, failing that, for the Defendants to retain
an attorney to appear and defend them.
/s/Colin Mulholland, Esq.
Colin Mulholland, Esq.
Case 1:20-cv-10255-LGS Document 15 Filed 02/16/21 Page 2 of 2
30-97 Steinway, Ste. 301-A
Astoria, New York 11103
Telephone: (347) 687-2019
Attorney for Plaintiffs
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