Marsh & McLennan Agency LLC v. Stedman
Filing
23
ORDER granting 22 Letter Motion for Extension of Time to Complete Discovery; granting 22 Letter Motion to Adjourn Conference. Granted and So Ordered. (Pretrial Order due by 11/3/2025.) (Signed by Judge Louis L. Stanton on 3/11/2025) (rro)
Document 22
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Littler
Filed 03/11/25
Page 1 of 2
Littler Mendelson, P.C.
900 Third Avenue
New Yo rk, NY 10022. 3298
Shawn Matthew Clark
Share holder
212.497.6840 direct
212.583.9600 mai n
sm clark@litt ler.com
March 11, 2025
lusnc snNY
jDOCUMENT
!ELECTROl\TJCALLY FILED
VIA ECF
I
Hon . Louis L. Stanton
United States District Judge
United States District Court
Southern District of New York
500 Pearl Street
New York, NY 10007
Re:
DOC#: ------1---1---
IDATE FIL£D:
17 11 Ji _s
Marsh & McLennan Agency LLC v. Stedman, Case No 1:24-cv-01671-LLS
Dear Judge Stanton:
This law firm represent Plaintiff March & McLennan Agency LLC in the above-referenced case . We
write to request extensions of the deadl ines in this case to permit the parties to complete discovery and
depositions. The parties have engaged in extensive discovery, resu lting in Plaintiff's production of over
7,200 pages and Defendant's production of over 500 pages . However, more discovery is needed. Plaintiff
is collecting and w ill produce add itional documents related to its lost profits. Plaintiff will also seek
documents from Defendant' s current employer via subpoena . And, fina lly, the parties still need to
schedule and take depositions . Accordingly, Pla intiff asks for the Court to enter the follow ing revised
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discovery schedule, to which Defendant consents:
Fact Discovery Deadline
June 9, 2025
Plaintiff Expert Report
July 9, 2025
Defendant Rebuttal Report
August 11, 2025
Expert Discovery Deadl ine
September 11, 2025
Plaintiffs Pre-Trial Order Materials
October 3, 2025
Pre -Trial Order
November 3, 2025
E ~ftft~'r,~ g~nown document proper ty nam e.
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Case 1:24-cv-01671-LLS
Document 22
Filed 03/11/25
Page 2 of 2
Hon. Louis L. Stanton
March 11, 2025
Page 2
The parties also request that the Court adjourn the Final Pretrial Conference scheduled for March
28, 2025 to a date in December, or thereafter, following the parties' completion of discovery and
submission of a pre-trial order.
This is the parties' first request for an adjournment of the above dates. We thank the Court for its
consideration .
Respectfully,
Is/ Shawn Matthew Clark
Shawn Matthew Clark
cc:
All counsel of record (via ECF)
littler.com
ument property name.
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