Jennings v. City of New York et al
Filing
83
ORDER, Pursuant to the telephonic discovery conference held today, November 22, 2024 (the "Conference"), the Court orders as follows: The fact discovery deadline in this matter is EXTENDED to Monday, December 16, 2024. By Friday, Decemb er 20, 2024, the parties shall file a joint status letter certifying the completion of all fact discovery. Pursuant to the telephonic discovery conference held today, November 22, 2024 (the "Conference"), the Court orders as follows: The fact discovery deadline in this matter is EXTENDED to Monday, December 16, 2024. By Friday, December 20, 2024, the parties shall file a joint status letter certifying the completion of all fact discovery. SO ORDERED. ( Deposition due by 12/16/2024., Fact Discovery due by 12/16/2024.) (Signed by Magistrate Judge Sarah L. Cave on 11/22/24) (yv)
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
ARABIA JENNINGS,
Plaintiff,
-v-
CIVIL ACTION NO. 22 Civ. 1885 (MMG) (SLC)
CITY OF NEW YORK; EDWARD WINSKI, in his official
and individual capacities; and MARISA CAGGIANO,
in her official and individual capacities,
ORDER
Defendants.
SARAH L. CAVE, United States Magistrate Judge.
Pursuant to the telephonic discovery conference held today, November 22, 2024 (the
“Conference”), the Court orders as follows:
1. The fact discovery deadline in this matter is EXTENDED to Monday,
December 16, 2024. By Friday, December 20, 2024, the parties shall file a joint status
letter certifying the completion of all fact discovery.
2. With respect to Plaintiff’s document requests, Defendants shall be required to search
for and provide only the following:
a. Documents regarding the location of the tow-pound facility to which Plaintiff
was assigned or transferred.
b. Emails in Defendant Caggiano’s possession regarding Plaintiff’s transfer.
c. The Personnel Profile Reports of the individuals Defendants’ counsel
previously identified and offered to produce.
d. Policies regarding training opportunities for individuals holding the title
Administrative Staff Analyst – Level 1.
3. As to Plaintiff’s Rule 30(b)(6) Notice of Deposition:
a. The City of New York need not produce a witness prepared discuss Topics (d),
(e), (f), (g), (h), (i), or (j). (See ECF No. 80-4).
b. The Court revises the remaining Topics, as to which the City shall produce a
knowledgeable representative to testify, as follows:
i. Topic (a): The rules and procedures related to the promotion of
Administrative Staff Analyst – Level 1 in CAD and HRD from 2016 to the
present.
ii. Topic (b): The rules and procedures applicable to salary increases and
adjustments for the position of Administrative Staff Analyst – Level 1
in CAD and HRD from 2016 to the present.
iii. Topic (c): The NYPD EEO’s rules and procedures for requiring an
Administrative Staff Analyst – Level 1 in CAD and HRD in 2018 to attend
a professionalism in the workplace course.
c. The parties shall meet and confer regarding the scheduling of the Rule 30(b)(6)
deposition.
4. The deposition of Plaintiff Arabia Jennings shall take place on Monday, December 16,
2024 in a format to be decided by the parties.
5. Either party may order a transcript of the Conference by completing the annexed
transcript request form and submitting the request to etranscripts@nysd.uscourts.gov.
Dated:
New York, New York
November 22, 2024
SO ORDERED.
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_________________________
SARAH L. CAVE
United States Magistrate Judge
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