Gucci America, Inc v. Lord & Taylor Ecomm LLC et al

Filing 66

ORDER granting 64 Letter Motion to Adjourn Conference. Application GRANTED. The Show Cause Hearing scheduled for August 7, 2024, is adjourned toAugust 14, 2024, at 4:30 P.M. At that time, the parties shall call 888- 363-4749 and enter theaccess code 558-3333. By July 9, 2024, Plaintiff shall serve a copy of this Order on DefendantLord & Taylor Ecomm LLC and file proof of service of this Order. Telephone Conference set for 8/14/2024 at 04:30 PM before Judge Lorna G. Schofield. (Signed by Judge Lorna G. Schofield on 7/8/2024) (sgz)

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Application GRANTED. The Show Cause Hearing scheduled for August 7, 2024, is adjourned to August 14, 2024, at 4:30 P.M. At that time, the parties shall call 888- 363-4749 and enter the access code 558-3333. By July 9, 2024, Plaintiff shall serve a copy of this Order on Defendant Lord & Taylor Ecomm LLC and file proof of service of this Order. Dated: July 8, 2024 New York, New York T 212.813.5900 Fzlz@fzlz.com July 3, 2024 BY ECF Hon. Lorna G. Schofield, U.S. District Court, S.D.N.Y. Thurgood Marshall United States Courthouse 40 Foley Square New York, NY 10007 Re: Gucci America, Inc v. Lord & Taylor Ecomm LLC, No. 1:23-cv-10239-LGS – Letter Motion to Adjourn Show Cause Hearing (FZ Ref.: GUCC 2312182) Dear Judge Schofield: We are counsel to Plaintiff Gucci America, Inc. (“Plaintiff”) in the above-captioned case. Your Honor has ordered that Defendant Lord & Taylor Ecomm LLC (“Defendant”) show cause on August 7, 2024 at 4:30 p.m. (ECF No. 61) why the Court should not order the entry of a default judgment against Defendant and award Plaintiff permanent injunctive relief and statutory damages (the “Show Cause Hearing”). I am scheduled to take a deposition in San Antonio, Texas that day and anticipate that the deposition will be ongoing at the scheduled time for the Show Cause Hearing. For that reason, I request that the Show Cause Hearing be rescheduled during the following week. I am available and have no conflicts the week of August 12th. Since Defendant’s prior counsel withdrew as counsel, no replacement counsel for Defendant has appeared in this matter, and the Clerk of the Court issued a Certificate of Default on May 29, 2024 (ECF No. 54). As a result, we have not sought consent to this request. We will, however, serve a copy of this letter on Defendant by mail to its street address. This is Plaintiff’s second request for adjournment. The Court granted Plaintiff’s first and only request for adjournment on December 8, 2023 (ECF No. 11). Respectfully submitted, /s/ John Margiotta John P. Margiotta T 212.813.5900 F 212.813.5901 {F5353828.1 } frosszelnick.com / Fross Zelnick Lehrman & Zissu, P.C.

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