Savannah Licensing LLC v. CME Group Inc.
Filing
16
ORDER granting #15 Letter Motion to Adjourn Conference. The request is GRANTED. The Initial Pretrial Conference is adjourned to February 23, 2023 at 10:30 a.m. in Courtroom 20B of the Daniel Patrick Moynihan United States Courthouse, 500 Pearl Street, New York, New York, 10007. SO ORDERED. Initial Conference set for 2/23/2023 at 10:30 AM in Courtroom 20B, 500 Pearl Street, New York, NY 10007 before Judge Jennifer L. Rochon.. (Signed by Judge Jennifer L. Rochon on 1/13/2023) (jca)
Case 1:22-cv-10130-JLR Document 16 Filed 01/17/23 Page 1 of 2
Patents • Trademarks • Copyrights • IP Litigation
Licensing • Foreign Filings • Trade Secrets
January 13, 2023 The request is GRANTED. The Initial
Pretrial Conference is adjourned to February
VIA ECF
23, 2023 at 10:30 a.m. in Courtroom 20B of
Hon. Jennifer L. Rochon
the Daniel Patrick Moynihan United States
United States District Judge
Courthouse, 500 Pearl Street, New York,
Southern District of New York
New York, 10007.
Daniel Patrick Moynihan United States Courthouse
500 Pearl Street
Dated: January 13, 2023
New York, New York 10007-1312
New York, New York
RE:
Savannah Licensing LLC v. CME Group Inc.
Civil Action No. 1:22-cv-10130-JLR
Dear Judge Rochon:
The undersigned is counsel for Savannah Licensing LLC, having been
admitted Pro Hac Vice on December 1, 2022 (Dkt. 10). I respectfully request a
continuance of the Initial Pretrial Conference currently scheduled for January 23,
2023 (Dkt. 12), until February 22, 2023, or until such date convenient for the
Court.
For cause, Defendant was granted an extension of time until February 10,
2023 in which to answer or otherwise respond to Plaintiff’s Complaint (Dkt. 14).
This is the first request to continue the Initial Pretrial Conference in this matter
and granting this request will not alter the date of any other event or deadline in
this case. This request is not for purposes of delay. I have conferred with counsel
for Defendant, and Defendant consents to the extension of time.
Accordingly, Plaintiff respectfully requests the Court grant this request,
continuing the Initial Pretrial Conference and thereby postponing the due date for
submission of the proposed Case Management Plan and Joint Letter to one (1)
week prior to the new conference date.
______________________________________________________________________________________
4940 Munson Street, N.W. • Canton, OH 44718 • Phone: 330-244-1174
www.sswip.com • Email: info@sswip.com
Case 1:22-cv-10130-JLR Document 16 Filed 01/17/23 Page 2 of 2
January 13, 2023
Page 2
Respectfully submitted,
Howard L. Wernow
HLW/tlo
cc: Counsel for Defendant (via email)
______________________________________________________________________________________
4940 Munson Street, N.W. • Canton, OH 44718 • Phone: 330-244-1174
www.sswip.com • Email: info@sswip.com
Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.
Why Is My Information Online?