69th Tenants Corp. v. ACE American Insurance Company

Filing 77

ORDER granting 76 Letter Motion to Adjourn Conference A settlement conference is hereby rescheduled for April 7, 2025 at 10:00 a.m. in Courtroom 17-A, United States Courthouse, 500 Pearl St. New York, NY. Pre-conference submissions must be receiv ed by the Court no later than March 31, 2025. The Clerk of Court is directed to terminate the gavel at ECF No. 76. Settlement Conference set for 4/7/2025 at 10:00 AM in Courtroom 17A, 500 Pearl Street, New York, NY 10007 before Magistrate Judge Valerie Figueredo.. (Signed by Magistrate Judge Valerie Figueredo on 3/10/2025) (jca)

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340 Mt. Kemble Avenue, Suite 300 Morristown, New Jersey 07960 Dated: 3/10/2025 March 3, 2025 A settlement conference is hereby rescheduled for April 7, 2025 at 10:00 a.m. in Courtroom 17-A, United States Courthouse, 500 Pearl St. New York, NY. Pre-conference submissions must be received by the Court no later than March 31, 2025. The Clerk of Court is directed to terminate the gavel at ECF No. 76. Telephone: 973 210 6700 Facsimile: 973 210 6701 www.clydeco.us Kevin.Haas@clydeco.us VIA ECF Hon. Valerie Figueredo United States Magistrate Judge United States District Court Southern District of New York 500 Pearl Street, Courtroom 17A New York, NY 10007-1312 Re: 69th Tenants Corp. v. ACE American Insurance Company Case Number: 1:23-cv-09220 (JGK) (VF) Dear Judge Figueredo: The Plaintiff/Counterclaim Defendant, 69th Tenants Corp. (“69th Tenants”) and Defendant/Counterclaim Plaintiff, ACE American Insurance Company (“ACE”) jointly submit this letter to respectfully request that Your Honor reschedule the settlement conference set for March 21, 2025, previously set by Your Honor’s February 18, 2025 Order (Doc 74). The parties will be unavailable to attend the conference as currently scheduled due to the schedules of party representatives. Further, the parties are awaiting receipt of engineering estimates and contractor bids, which the parties are optimistic will make for a more productive conference in the parties’ efforts to resolve this matter. The parties propose, subject to the Court’s availability, April 3, 2025 or April 4, 2025 as alternative dates for the settlement conference. We thank the Court for its attention to this matter. Respectfully submitted, ___________________ Kevin M. Haas Clyde & Co. US LLP The Chrysler Building 405 Lexington Ave, 16th Floor New York, NY 10174 T: (973) 210-6700 F: (973) 210-6701 Email: Kevin.Haas@clydeco.us Attorneys for ACE American Insurance Company Bradley J. Nash (Signed with permission) ____________________ Bradley J. Nash Houget Newman Regal & Kenney, LLP One Grand Central Place 60 E 42nd Street, 48th Floor New York, NY 1016 T: (212) 689-8808 F: (212) 689-5101 Email: bnash@hnrklaw.com Attorneys for 69th Tenants Corp. Clyde & Co US LLP is a Delaware limited liability partnership with offices in Atlanta, New Jersey, New York, and San Francisco. Clyde & Co US LLP is affiliated with Clyde & Co LLP, a limited liability partnership registered in England and Wales . #40038170v1<US> - 69th Tenants Corp. - Letter to Judge Figueredo re Settlement Conference (3-3-2025)

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