CG Access Group, LLC v. Fabrique Innovations, Inc.

Filing 26

ORDER granting 25 Letter Motion to Adjourn Conference The Court GRANTS the requested adjournment and the request to have the initial pre-trial conference held remotely. The initial pre-trial conference is rescheduled to December 10, 2024 at 11:00 a.m. Counsel will receive login information for Microsoft Teams at the emails listed on the docket. The public listen-only line may be accessed by dialing Toll-Free Number: 877-336-1831 | Access Code: 5583342. SO ORDERED. Initial Conference set for 12/10/2024 at 11:00 AM before Judge Jennifer L. Rochon.. (Signed by Judge Jennifer L. Rochon on 11/22/2024) (jca)

Download PDF
CORINNE S. ROCKOFF CROCKOFF @M ADDINHAUS ER.COM 248.827.1881 Direct 248.827.1882 FAX November 21, 2024 SENT VIA ECF Hon. Jennifer L. Rochon, United States District Judge United States District Court, Southern District of New York 500 Pearl Street, Room 1920 New York, New York 10007-1312 Re: CG Access Group, LLC v. Fabrique Innovations, Inc., d/b/a/ Bitty Boomers Southern District of New York, Case No. 1:24-cv-3230 Joint Letter Motion for Adjournment of and Zoom Appearance at Initial Pretrial Conference Dear Judge Rochon, We write on behalf of Plaintiff CG Access Group, LLC (“Plaintiff”) and Defendant, Fabrique Innovations, Inc., d/b/a Bitty Boomers (“Defendant” and together with Plaintiff, the “Parties”), to set forth the Parties’ joint request that the Court 1) adjourn the Initial Pretrial Conference set for December 3, 2024 at 11:00 A.M. (ECF No. 24) to the next available date thereafter which is agreeable to the Court, and 2) permit the Parties, via their counsel, to appear remotely for such Initial Pretrial Conference. Pursuant to the Court’s Order of November 18, 2024, the Parties will submit a Proposed Civil Case Management Plan and Scheduling Order and a Joint Pretrial Letter describing the case, any contemplated motions, and the prospect for settlement at least seven days in advance of the Initial Pretrial Conference. (ECF No. 24). The Parties request an adjournment of Initial Pretrial Conference to accommodate a previously scheduled hearing in another matter, which requires that Defendant’s counsel appear in another court on December 3, 2024 and would prevent him from timely appearing before the Court in this matter. Further, the Parties request leave to appear remotely at this time to in an effort to avoid unnecessary expense to either party. Plaintiff’s Counsel is currently in Michigan and would incur significant costs if physical attendance is ultimately required. Accordingly, the parties respectfully request that this Honorable Court Grant this Letter Motion and 1) adjourn the Initial Pretrial Conference set for December 3, 2024 at 11:00 A.M. (ECF No. 24) to the next available date thereafter which is agreeable to the Court, and 2) permit the Parties, via their counsel, to appear remotely for the Initial Pretrial Conference on whatever such date is set by this Court. Respectfully submitted, By: _Corinne S. Rockoff________________ Corinne S. Rockoff MADDIN, HAUSER, ROTH & HELLER, P.C. One Towne Square – Fifth Floor Southfield, MI 48076 248.354.4030 crockoff@maddinhauser.com Counsel for Plaintiff By: __David K. Bowles (with permission) __ David K. Bowles BOWLES & JOHNSON PLLC 14 Wall Street, 20th Floor New York, New York 10005 212.390.8842 David@bojo.law Counsel for Defendant The Court GRANTS the requested adjournment and the request to have the initial pre-trial conference held remotely. The initial pre-trial conference is rescheduled to December 10, 2024 at 11:00 a.m. Counsel will receive login information for Microsoft Teams at the emails listed on the docket. The public listen-only line may be accessed by dialing Toll-Free Number: 877-336-1831 | Access Code: 5583342. Date: November 22, 2024 New York, New York

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?