Idris v. Quarantillo et al
Filing
22
ORDER granting #20 Letter Motion to Adjourn Conference. The application is GRANTED. The initial pretrial conference scheduled for January 19, 2022, at 4:10 p.m., is adjourned to February 2, 2022, at 4:30 p.m. By January 26, 2022, the parties shall file a joint letter and proposed case management plan and scheduling order. The Clerk of Court is respectfully directed to close the motion at Docket No. 20. So Ordered. Initial Conference set for 2/2/2022 at 04:30 PM before Judge Lorna G. Schofield. (Signed by Judge Lorna G. Schofield on 1/10/2022) (js)
Case 1:21-cv-09746-LGS Document 22 Filed 01/10/22 Page 1 of 1
U.S. Department of Justice
United States Attorney
Southern District of New York
86 Chambers Street
New York, New York 10007
January 7, 2022
VIA ECF
Hon. Lorna G. Schofield
United States District Judge
United States District Court
40 Foley Square
New York, New York 10007
Re:
The application is GRANTED. The initial pretrial conference scheduled for
January 19, 2022, at 4:10 p.m., is adjourned to February 2, 2022, at 4:30
p.m. By January 26, 2022, the parties shall file a joint letter and proposed
case management plan and scheduling order. The Clerk of Court is
respectfully directed to close the motion at Docket No. 20.
Dated: January 10, 2022
New York, New York
Idris v. Quarantillo et. al, No. 21 Civ. 9746 (LGS)
Dear Judge Schofield:
This Office represents the government in this action in which the plaintiff seeks de novo
judicial review of the denial of his application for naturalization. On behalf of both sides, I write
respectfully to request that the initial conference presently scheduled for January 19, 2022, and the
corresponding deadline for the pre-conference submission, which is due on January 12, 2022, be
adjourned until on or after January 25, 2022.
The adjournment is respectfully requested because the plaintiff served this Office by mail,
and the response to the complaint is not due until January 25, 2022. The extension is requested
because the government is still consulting with agency counsel about this matter, and the parties
are also discussing next steps. The parties thus respectfully submit that an adjournment until
January 25, 2022 or thereafter would be in the interests of efficiency and conservation of judicial
and party resources. This is the first request to adjourn the initial conference. The plaintiff joins
in this request.
I thank the Court for its consideration of this letter.
Respectfully submitted,
DAMIAN WILLIAMS
United States Attorney
By:
cc: Counsel of record (via ECF)
s/ Rebecca R. Friedman
REBECCA R. FRIEDMAN
Assistant United States Attorney
Telephone: (212) 637-2614
Facsimile: (212) 637-2686
E-mail: rebecca.friedman@usdoj.gov
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