Fagnani v. J.R. Carlson Laboratories, Inc.

Filing 10

ORDER granting #9 Letter Motion to Adjourn Conference. The initial pretrial conference scheduled for April 3, 2024, is adjourned to May 8, 2024, at 4:00 P.M. At that time, the parties shall call 888-363-4749 and enter the access code 558-3333. The deadline for the parties to file the joint letter and proposed case management plan is extended to May 1, 2024. So Ordered. Initial Conference set for 5/8/2024 at 04:00 PM before Judge Lorna G. Schofield. (Signed by Judge Lorna G. Schofield on 3/26/2024) (mml)

Download PDF
150 E. 18 St., Suite PHR, New York, NY 10003 212 228-9795 www.gottlieblaw.net March 25, 2024 VIA ECF The Honorable Lorna G. Schofield United States District Judge United States District Court Southern District of New York Thurgood Marshall United States Courthouse 40 Foley Square New York, NY 10007 Re: The initial pretrial conference scheduled for April 3, 2024, is adjourned to May 8, 2024, at 4:00 P.M. At that time, the parties shall call 888-363-4749 and enter the access code 558-3333. The deadline for the parties to file the joint letter and proposed case management plan is extended to May 1, 2024. So Ordered. Dated: March 26, 2024 New York, New York Fagnani v. J.R. Carlson Laboratories, Inc., Case No.: 1:24-cv-1037 Dear Judge Schofield, The undersigned represents Mykayla Fagnani, on behalf of herself and all other persons similarly situated (“Plaintiff”) in the above referenced matter against Defendant, J.R. Carlson Laboratories, Inc., (“Defendant”). The undersigned respectfully requests that the Initial Conference scheduled for April 3, 2024, at 4:00 PM (Dkt. 6) be adjourned for 30 days because although Counsel for the Defendant has executed a waiver of service on behalf of the Defendant in this Action, they have not yet appeared and have requested that the Initial Conference be adjourned pending their retention of local counsel. The undersigned attempted to proceed with Your Honor’s scheduled conference and prepare the necessary documents however Defendant’s Counsel objected and requested we file an adjournment on their behalf. Respectfully submitted, GOTTLIEB & ASSOCIATES PLLC cc: via email: Kristen Prinz kprinz@prinz-lawfirm.com Attorney for Defendant /s/Michael A. LaBollita, Esq. Michael A. LaBollita, Esq.

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?