Sound Around, Inc. v. Friedman et al

Filing 104

ORDER granting 103 Letter Motion to Adjourn Conference. APPLICATION GRANTED: Initial Conference set for 10/8/2024 at 10:00 AM in Courtroom 17D, 500 Pearl Street, New York, NY 10007 is hereby rescheduled to Wednesday, November 6, 2024 at 2:45 p.m. Initial Conference set for 11/6/2024 at 02:45 PM in Courtroom 17D, 500 Pearl Street, New York, NY 10007 before Magistrate Judge Katharine H. Parker. (Signed by Magistrate Judge Katharine H. Parker on 9/24/2024) (vfr)

Download PDF
Case 1:24-cv-01986-JHR-KHP Document 103 Filed 09/24/24 NEW YORK  400 MADISON AVE., 10TH FL  NEW YORK, NEW YORK, 10017  TELEPHONE:(212)213‐8844 FACSIMILE:  (212)213‐3318  ATTORNEYS AT LAW NEW JERSEY 51 JFK Parkway Short Hills, New Jersey 07078 Telephone (973) 379-0038 Facsimile (973) 379-0048 September 24, 2024 VIA ECF Hon. Katharine H. Parker U.S. District Court 500 Pearl Street, Room 750 New York, New York 10007 Re: Page 1 of 1 09/24/2024 WWW.ALLYNFORTUNA.COM Sound Around Inc. v. Friedman et al. Case No. 1:24-cv-01986-JHR-KHP Dear Judge Parker: This firm represents Defendants Moises Friedman, Shulim Eliezer Ilowitz, ML Imports, Inc., CYRF, Inc., LRI Group, LLC, MDF Marketing Inc., and World Group Import, LLC (“Defendants”) in the above-referenced matter. We write to request a one-week adjournment of the initial conference scheduled before Your Honor on October 8, 2024. The reason for the request for the adjournment is that, since September 10, 2024, when Your Honor issued the order denying Defendants’ request for relief from the obligation to submit a joint discovery plan, I have been involved in a matter in the Supreme Court of the State of New York, County of Rockland, that has required my full attention and in which a hearing is scheduled to begin September 25, 2024. As a result, I have not had the opportunity to work with my clients to prepare their portion of the joint discovery plan, which will involve the defenses and counterclaims to the Complaint which they will pursue if this matter is not disposed of on Defendants’ motion to dismiss. Counsel for Plaintiff has declined to consent to this request. Counsel for Co-Defendants Executive Services and Executive Laundry have consented to this request. Thank you for your consideration. APPLICATION GRANTED: Initial Conference set for 10/8/2024 Sincerely, at 10:00 AM in Courtroom 17D, 500 Pearl Street, New York, NY 10007 is hereby rescheduled to Wednesday, November 6, 2024 /s/Nicholas Fortuna at 2: 45 p.m. Nicholas Fortuna 09/24/2024

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?