Beasley v. FuboTV, Inc.
Filing
20
ORDER granting 19 Letter Motion to Stay re: 19 SECOND LETTER MOTION to Stay all case deadlines addressed to Judge Colleen McMahon from Adrian Gucovschi dated 6/3/2024. Ok. (Signed by Judge Colleen McMahon on 6/3/24) (yv)
140 BIWADWA Y. SUITE 4667
NEW YORK, NY 10005
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June 3, 2024
ViaECF
The Honorable Colleen McMahon
United States District Court Judge
Southern Di strict of New York
Daniel Patrick Moynihan United States Courthouse
500 Pearl Street, Room 2550
New York, New York 10007-1312
Re:
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Beasley v.fuboTV, Inc., 1:24-cv-00711 (CM) (RWL):
Joint Request for 45-dav Extension of Stay
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Dear Judge McMahon:
Pursuant to Federal Rule of Civil Procedure 6(b)( l ), Local Rule 7.1 (d), and the Court"s
Individual Practices, Plaintiff Catherine Beasley ("Plaintiff') and Defendant FuboTY. Inc.
("Defendant") Uointly, the " Parties"), request that the Court briefly extend the stay in this matter
(ECF 18), wh ich expires on June 6. 2024. for an additional forty-five (45) days to July 21 , 2024
and adjourn the pretrial conference scheduled for May 2, 2024 at l 0:00 am following the
termination of the additiona l 45-day period.
The Parties respectfully request this extension of the stay while they work toward
facilitating a resolution of this matter. The Parties believe that judicial economy and the interests
of the Parties would be served by an extension of the stay of the action while the Parties pursue
resolution. Prior to the expiration of the stay, the Parties will jointly file a status report to inform
the Coun of thei r progress and propose a briefing schedule with the timing of Plaintiff's
opposition to Defendant's Motion to Compel Arbitrat ion (ECF 11) and Defendant ' s reply .
The Court has not yet issued a scheduling order, and this requested 45-day extension of
the stay of all case deadlines, including Plaintiff's April 22 deadline to respond to Defendant's
Motion to Compel Individual Arbitration and Defendant's April 29 deadline to file its reply in
support of same Mation, does not affect any other dates.
Respectfully submitted,
Isl Adrian Gucovschi
Adrian Gucovschi
Gucovschi Rozenshteyn , PLLC
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Case l:24-cv-00711-CM Document 19 Filed 06/03/24 Page 2 of 2
PAG E
FI RM
CC: Al l Coun se l of Record (Via Ecf)
140 Broadway, Suite 4667
New York, NY 10005
Tel: (212) 884-4230
adrian@gr-firm .com
Counsel fo r Plainti ff
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