Laureano v. Milk Burger Inc et al

Filing 11

ORDER granting 10 Letter Motion to Adjourn Conference. Application GRANTED. Plaintiff shall file his amended complaint on or before July 21, 2024. The initial pretrial conference scheduled for July 16, 2024, is hereby ADJOURNED to August 29, 2024 , at 10:00 a.m. As before, the conference will be telephonic and the dial-in information is as follows: At the scheduled date and time, the parties are to call (888) 363-4749 and enter access code 5123533. Plaintiff is reminded of his obligation, joi ntly with Defendants, to file a pre-conference statement on or before August 22, 2024. The Clerk of Court is directed to terminate the pending motion at docket entry 10. SO ORDERED. Initial Conference set for 8/29/2024 at 10:00 AM before Judge Katherine Polk Failla. (Signed by Judge Katherine Polk Failla on 7/8/2024) (jca)

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THE WEITZ LAW FIRM, P.A. Bank of America Building 18305 Biscayne Blvd., Suite 214 Aventura, Florida 33160 July 7, 2024 MEMO ENDORSED VIA CM/ECF Honorable Judge Katherine Polk Failla United States District Court Southern District of New York 40 Foley Square - Courtroom 618 New York, NY 10007-1312 Re: Laureano v. Milk Burger Inc et al, et al. Case 1:24-cv-01776-KPF Dear Judge Failla: The undersigned represents the Plaintiff in the above-captioned case matter. The Initial Pretrial Conference in this matter is currently scheduled for July 16, 2024, at 3:00 p.m., in Your Honor's Courtroom. The Defendants have yet t o appear and/or answer in this matter. As it is, two Defendants are missing in this matter. Plaintiff will be seeking leave of Court to file an amended complaint. As such, in order to afford additional time for the Defendants to be served, formally appear and engage in productive subsequent settlement discussions, the undersigned hereby respectfully requests a 45-day adjournment of next week’s Conference to a date most convenient to this Honorable Court. Thank you for your consideration of this first adjournment request. Sincerely, By: /S/ B. Bradley Weitz B. Bradley Weitz, Esq. (BW9365) THE WEITZ LAW FIRM, P.A. Attorney for Plaintiff Bank of America Building 18305 Biscayne Blvd., Suite 214 Aventura, Florida 33160 Telephone: (305) 949-7777 Facsimile: (305) 704-3877 Email: bbw@weitzfirm.com Application GRANTED. Plaintiff shall file his amended complaint on or before July 21, 2024. The initial pretrial conference scheduled for July 16, 2024, is hereby ADJOURNED to August 29, 2024, at 10:00 a.m. As before, the conference will be telephonic and the dial-in information is as follows: At the scheduled date and time, the parties are to call (888) 363-4749 and enter access code 5123533. Plaintiff is reminded of his obligation, jointly with Defendants, to file a pre-conference statement on or before August 22, 2024. The Clerk of Court is directed to terminate the pending motion at docket entry 10. Dated: July 8, 2024 New York, New York SO ORDERED. HON. KATHERINE POLK FAILLA UNITED STATES DISTRICT JUDGE

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