Edelman v. NYU Langone Health System et al

Filing 47

ORDER granting #46 Letter Motion for Extension of Time to File. Application GRANTED. The parties' deadline to submit the letter is extended from September 3, 2021, to September 8, 2021, nunc pro tunc. No further extensions will be granted absent extraordinary circumstances. (Signed by Judge Lorna G. Schofield on 9/7/2021) (cf)

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Case 1:21-cv-00502-LGS Document 47 Filed 09/07/21 Page 1 of 1 MILMAN LABUDA LAW GROUP PLLC 3000 MARCUS AVENUE SUITE 3W8 LAKE SUCCESS, NY 11042 _________ TELEPHONE (516) 328-8899 FACSIMILE (516) 328-0082 September 3, 2021 Application GRANTED. The parties' deadline to submit the letter is VIA ECF extended from September 3, 2021, to September 8, 2021, nunc United States District Court pro tunc. No further extensions will be granted absent Southern District of New York Attn: Hon. Lorna G. Schofield, U.S.D.J. extraordinary circumstances. 40 Foley Square, Courtroom 1106 New York, NY 10007-1312 Dated: September 7, 2021 New York, New York Re: Edelman v. NYU Langone Health System, et al. Case No.: 1:21-cv-502 (LGS) (GWG) MLLG File No.: 209-2020___________________ Dear Judge Schofield: This firm represents the Plaintiff Dr. Sari Edelman (hereinafter “Plaintiff” or “Dr. Edelman”) in the above-referenced case. Plaintiff writes to respectfully seek an extension of time of the parties’ deadline to submit a joint letter specifying the names and roles of any witnesses to be deposed and the dates for the depositions of those witnesses as set forth in this Court’s August 25, 2021 Order. Pursuant to ¶ I(B)(2) of this Court’s Individual Rules and Civil Procedures, Plaintiff submits that: (i) the original due date is today; (ii)-(iii) there have been no previous requests for an extension of time to comply with this Order; and (iv) Defendants consent. The reason for the request is that, on Tuesday, August 31, 2021, Defendants produced approximately 200 pages of additional discovery and Plaintiff needs additional time to review same prior to deciding who she intends to depose. Plaintiff respectfully submits that there is therefore good cause for granting the requested extension. See Fed. R. Civ. P. 6(b)(1)(A). Dated: Lake Success, New York September 3, 2021 cc: Defendants (via ECF). Respectfully submitted, MILMAN LABUDA LAW GROUP PLLC _______/s____________________________ Emanuel Kataev, Esq. 3000 Marcus Avenue, Suite 3W8 Lake Success, NY 11042-1073 (516) 328-8899 (office) (516) 303-1395 (direct dial) (516) 328-0082 (facsimile) emanuel@mllaborlaw.com

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