K.S. et al v. City of New York et al
Filing
159
ORDER granting [44 in 24-cv-3390] Letter Motion for Extension of Time to File. Defendants' Letter-Motion (ECF No. 44) seeking an extension of time to disclose experts is GRANTED. Because their requested deadline of October 26, 2024 falls on a Saturday, however, Defendants shall complete expert disclosures by Monday, October 28, 2024. The Clerk of Court is respectfully directed to close ECF No. 44. SO ORDERED. (Signed by Magistrate Judge Sarah L. Cave on 10/23/24) (yv)
THE CITY OF NEW YORK
COURTNEY M. SOLIDAY
LAW DEPARTMENT
Special Assistant Corporation Counsel
MURIEL GOODE-TRUFANT
100 CHURCH STREET
Tel: (212) 356-8761
Acting Corporation Counsel
email:csoliday@law.nyc.gov
NEW YORK, NY 10007
Defendants' Letter-Motion (ECF No. 44) seeking an
extension of time to disclose experts is GRANTED.
Because their requested deadline of October 26, 2024
VIA ECF
falls on a Saturday, however, Defendants shall complete
Hon. Sarah L. Cave
Daniel Patrick Moynihan United States Courthouse expert disclosures by Monday, October 28, 2024.
500 Pearl St.
The Clerk of Court is respectfully directed to close ECF
New York, NY 10007-1312
No. 44.
Cave_NYSChambers@nysd.uscourts.gov
SO ORDERED.
10/23/2024
Re:
K.S., et al., v. City of New York, et al., 21-cv-4649 (JSR)/24-cv3390(JSR)(SLC)
Dear Judge Cave:
I am an Assistant Corporation Counsel in the Office of the Corporation Counsel, attorney
for Defendants City of New York, The Administration for Children's Services ("ACS"), David
Hansell, New York City Department of Education ("DOE"), The Board of Education of the City
School District of the City of New York ("BOE"), David C. Banks (collectively "City Defendants")
in the above-referenced matter.
I submit this letter to respectfully request a 48 hour extension of Defendant’s deadline to
disclose experts from October 24, 2024 to October 26, 2024. This is our first requested extension
of the deadline. Plaintiffs consent to this request. The additional time is needed so that parties can
meet and confer in regards to scheduling.
Accordingly, City Defendants respectfully request a 48 hour extension of time to disclose
experts.
Thank you for considering this request.
Cc:
Courtney M. Soliday, Esq., for plaintiffs via ECF
Respectfully submitted,
/s/________________
Courtney M. Soliday
Assistant Corporation Counsel
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?