Wilmington Trust, National Association, As Trustee For The Benefit Of The Registered Holders Of Wells Fargo Commercial Mortgage Trust 2018-C44, Commercial Mortgage Pass-Through Certificates, Series 20 v. 31 Prince Street, LLC et al

Filing 127

ORDER granting 126 Letter Motion for Extension of Time to File. Application GRANTED. Plaintiff shall file its updated and supplemental materials as to the calculation of the amount owed by the Borrowers on the Loan no later than May 28, 2024, an d shall provide the Court with large-format courtesy copies of its updated Exhibits 7A-7N (or comparable exhibits) on paper. Defendants shall file any responding papers no later than June 14, 2024. If plaintiff wishes to file reply papers, it must so request in a letter-application filed promptly after its receipt of the responding papers. SO ORDERED.. (Signed by Magistrate Judge Barbara C. Moses on 5/10/2024) (rro)

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787 Seventh Avenue 31st Floor | New York, NY 10019 | T 212.513.3200 | F 212.385.9010 Holland & Knight LLP | www.hklaw.com 5/10/2024 David V. Mignardi 212.751.3171 david.mignardi@hklaw.com May 8, 2024 VIA ECF: Honorable Barbara Moses, U.S.M.J. Daniel Patrick Moynihan United States Courthouse 500 Pearl Street, Room 740 New York, New York 10007 Re: Wilmington Trust, National Association, As Trustee, etc. v. 31 Prince Street, LLC et al; Case No. 2:22-cv-05855 (JGK) (BCM) Dear Judge Moses: We are counsel to plaintiff Wilmington Trust, National Association, as Trustee for the Benefit of the Registered Holders of Wells Fargo Commercial Mortgage Trust 2018-C44, Commercial Mortgage Pass-Through Certificates, Series 2018-C44 (“Plaintiff”), acting by and through its special servicer, Rialto Capital Advisors, LLC, as Special Servicer under the Pooling and Servicing Agreement dated as of May 1, 2018, in the above-referenced action. Pursuant to Your Honor’s Order dated April 18, 2024: (i) Plaintiff is to file its updated and supplemental materials as to the calculation of the amount owed on the Loan no later than May 13, 2024 (and provide the Court with certain requested large-format courtesy copies as instructed therein); (ii) defendants 31 Prince Street, LLC, Wah Kok Realty Corp. and Edmond Li (collectively, “Defendants”) are to file their responsive papers no later than May 31, 2024; and (iii) Plaintiff is to, if it so wishes after receipt of the responsive papers, promptly request allowance to file reply papers by letter-application. See ECF No. 124. In accordance with Rule 2(A) of Your Honor’s Individual Practices and so that Plaintiff may finalize its updated proposed damages computations, we respectfully request a two-week extension of time for Plaintiff to file its initial submissions and a corresponding two-week extension of time for Defendants to file its responsive submissions, with Plaintiff having the opportunity, if it so wishes, to request allowance to file reply papers promptly thereafter. This is the first time Plaintiff has sought an extension of any deadline reflected in the Order. Defendants’ counsel has indicated that they consent to this request.

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