Murchinson Ltd. et al v. Nano Dimension Ltd. et al

Filing 97

ORDER granting 93 Letter Motion to Adjourn Conference Request GRANTED. The oral argument currently scheduled for April 17, 2025, shall be adjourned toApril 24, 2025, at 11:00 a.m. SO ORDERED. Oral Argument set for 4/24/2025 at 11:00 AM before Judge Jennifer L. Rochon.. (Signed by Judge Jennifer L. Rochon on 3/6/2025) (jca)

Download PDF
Case 1:23-cv-03658-JLR Document 97 Filed 03/06/25 Page 1 of 2 San Francisco & New York Melissa Ginsberg, Esq. March 5, 2025 ginsberg@braunhagey.com VIA ECF The Honorable Jennifer L. Rochon U.S. District Court for the Southern District of New York United States District Court 500 Pearl Street New York, NY 10007 Re: Murchinson Ltd. v. Nano Dimension Ltd., Case No. 23-cv-3658 (JLR) – Request to Briefly Adjourn Argument Date Dear Judge Rochon: We represent Nano Dimension Ltd. (“Nano”) in the above-referenced action. 1 We write to request a brief adjournment of the April 17, 2025 oral argument on Defendants’ pending motion to dismiss to accommodate counsel’s pre-planned vacation. Plaintiffs Murchinson Ltd., EOM Management Ltd., Nomis Bay Ltd., and BPY Limited have no objection to this motion. By way of background, on August 9, 2023, Defendants filed a Motion to Dismiss the Complaint (the “Motion”) for lack of jurisdiction and failure to state a claim. That Motion was fully briefed on September 26, 2023. On February 20, 2025, the Court issued an order scheduling oral argument on the Motion on March 6, 2025. (Dkt. 90.) On February 28, 2025, Plaintiffs and Nano filed a joint motion requesting a 45-day adjournment of that argument date to allow the parties to complete settlement discussions. (Dkt. 91.) On March 3, 2025, the Court granted that request and adjourned the argument on the Motion to April 17, 2025. (Dkt. 92.) This is the second request for an adjournment of the oral argument on the Motion. I am scheduled to be out of the country on a pre-planned vacation on April 17, 2025. Accordingly, we respectfully request that oral arguent on the Motion is further adjourned to the week of April 21, 2025. We have conferred with Plaintiffs’ counsel concerning their availability and confirmed that both we and Plaintiffs’ counsel are available on April 21, 22, 24, or 25. 2 BraunHagey & Borden LLP (“BHB”) is also counsel of record for Yoav Stern, Amit Dror, Simon Anthony-Fried, Channa Caspi, Roni Kleinfeld, J. Christopher Moran, Yoav Nissan-Cohen and Igal Rotem (the “Individual Defendants”). BHB intends to file a motion to withdraw as counsel for the Individual Defendants in light of the potential for a conflict to develop between Nano and the Individual Defendants due to the recent changes to the composition of Nano’s board of directors and management. 1 I am scheduled for a medical procedure on April 30, 2025 and will be unavailable for argument on that date and through May 9, 2025 while recovering. 2 San Francisco 747 Front Street, 4th Floor San Francisco, CA 94111 Tel.: (415) 599-0210 Fax: (415) 276-1808 New York 118 W 22nd Street, 12th Floor New York, NY 10011 Tel.: (646) 829-9403 Fax: (646) 403-4089 Case 1:23-cv-03658-JLR Document 97 Filed 03/06/25 March 5, 2025 Page 2 We appreciate the Court’s attention to this matter. Respectfully submitted, Melissa Ginsberg Cc: Counsel of Record by ECF Individual Defendants by email & FedEx Request GRANTED. The oral argument currently scheduled for April 17, 2025, shall be adjourned to April 24, 2025, at 11:00 a.m. Dated: March 6, 2025 New York, New York SO ORDERED. JENNIFER L. ROCHON United States District Judge Page 2 of 2

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?