Lopez v. Fluxpace Design & Build LLC et al

Filing 28

ORDER granting 27 Letter Motion for Extension of Time to File. SO ORDERED. (Signed by Judge Andrew L. Carter, Jr on 7/3/2024) (ks)

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USDC SDNY DOCUMENT ~v~r:.rJ10 E~jDQRSED ELECTRONICALLY F ILED LEVIN-EPSTEIN & ASSOCIATES, P.C. DOC#: _ _ _ _ __ _ _ - - - - - - - - - - - - - - - - - - - - - DATE FILED : ...;.7.;. ;3.;..;; ;./ /2=02~4---_ _ 60 East 42nd Street • Suite 4700 • New York, New York l O165 T: 212.792-0048 • E: Jason@levinepstein.com July 1, 2024 VIAECF The Hon. Andrew L. Carter, Jr., U.S .D.J. U.S. District Comi, Southern Disti·ict of New York 40 Foley Square New York, NY 10007 Re: Lopez v. Fluxpace Design & Build LLC et al Case No.: 22-cv-07605 Dear Honorable Judge Caii er: This law fnm represents Plaintiff Juan Lopez (the "Plaintiff') in the above-referenced matter. Pursuant to Your Honor's Individual Motion Practice Rules, this letter respectfully serves to request an extension oftime to comply with Your Honor's June 14, 2024 Order [Dckt. No. 26] (the "June 14th Order") from July 1, 2024 to, through and including, July 26, 2024. This is the first request of its kind. If granted, this request would not affect any other Comi scheduled deadlines. The basis of this request is that the undersigned has been attempting to schedule a meetand-confe1rnl with counsel for Defendants Fluxpace Design & Build LLC, Fluxpace Inc., and Victor Sie1rn (collectively, the "Defendants"), to obtain a stipulation of service, pursuant to the directives of the June 14th Order. Counsel for Defendants has not responded to the undersigned's emails, telephone calls, or meet-and-confen al attempts. In light of th e foregoing, it is respectfully requested that the Court extend Plaintiff's time to comply with Your Honor 's June 14th Order from July 1, 2024 to, through and including, July 26, 2024, to allow Plaintiff additional time to perfect se1v ice on the Defendants, and proceed with the filing of an application for a Clerk's Ce1iificate of Default Judgment. S ORDEP.EO: e,; 7 i1ixf,\iru:ti:.W CcARret.111.--· llNITrn $TATES OISTHIC: r.lllM~ Dated: July 3, 2024 f},,- LEVIN-EPSTEIN & ASSOCIATES, P.C. By: Isl Jason Mizrahi Jason Mizrahi 60 East 42 nd Sti·eet, Suite 4747 New York, NY 10170 Tel. No.: (212) 792-0048 Email: Jason@levinepstein.com Attorneys for Plaintiff

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