Gumaneh et al v. Vilano Employment Services, Inc. et al
Filing
23
ORDER denying without prejudice 22 Letter Motion for Extension of Time to File. Application denied without prejudice. Plaintiffs are reminded that, pursuant to Rule 1.G. of my Individual Rules & Practices in Civil Cases, all requests for adjourn ments or extensions of time must state the following: (1) the original due date; (2) the number of previous requests for adjournments or extensions of time; (3) whether these previous requests were granted or denied; (4) whether the adversary consent s and, if not, the reasons given by the adversary for refusing to consent; and (5) the specific reasons for the adjournment or extension of time. Plaintiffs are directed to meet and confer with Defendants regarding Plaintiffs' proposed briefing schedule and submit a renewed letter-motion for an extension of time that complies with my Individual Rules & Practices in Civil Cases. SO ORDERED.. (Signed by Judge Vernon S. Broderick on 9/16/2022) (kv)
Case 1:22-cv-00774-VSB Document 23 Filed 09/16/22 Page 1 of 1
Abdul Hassan Law Group, PLLC
215-28 Hillside Avenue
Queens Village, New York, 11427
~~~~~
Abdul K. Hassan, Esq.
Email: abdul@abdulhassan.com
Employment and Labor Lawyer
Tel: 718-740-1000
Fax: 718-740-2000
Web: www.abdulhassan.com
September 1, 2022
Via ECF
Hon. Vernon S. Broderick, USDJ
United States District Court, SDNY
40 Foley Square
New York, NY 10007
Re: Gumaneh et al v. Vilano Employment Services, Inc. et al
Case No. 22-CV-00774 (VSB)(KHP)
Motion for Extension of Time
Dear Judge Broderick:
My firm represents plaintiffs in the above-referenced action, and I respectfully write to
request an extension to October 24, 2022 for Plaintiffs to file their opposition to Defendants’
Motion to Compel Arbitration which was filed on September 13, 2022. No prior request for an
extension of this deadline was made. I reached out to counsel for Defendants about this extension
but did not hear back before filing.
I thank the Court in advance for its time and consideration.
Respectfully submitted,
Abdul Hassan Law Group, PLLC
_/s/ Abdul Hassan____________
By: Abdul K. Hassan, Esq. (AH6510)
Counsel for Plaintiffs
Cc: Defense Counsel via ECF
Application denied without prejudice. Plaintiffs are reminded that,
pursuant to Rule 1.G. of my Individual Rules & Practices in Civil
Cases, all requests for adjournments or extensions of time must state the
following: (1) the original due date; (2) the number of previous
requests for adjournments or extensions of time; (3) whether these
previous requests were granted or denied; (4) whether the adversary
consents and, if not, the reasons given by the adversary for refusing to
consent; and (5) the specific reasons for the adjournment or extension of
time. Plaintiffs are directed to meet and confer with Defendants
regarding Plaintiffs’ proposed briefing schedule and submit a renewed
letter-motion for an extension of time that complies with my Individual
Rules & Practices in Civil Cases.
09/16/22
1
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