Franklin K. Realty, LLC v. Aspen American Insurance Company

Filing 26

ORDER EXTENDING CERTAIN EXPERT DISCOVERY DEADLINES THIS MATTER, having come before the Court upon the joint application of StanleyKallmann, Esq., counsel for Defendant Aspen American Insurance Company, and John Murphy,Esq., counsel for Plaintiff Fra nklin K. Realty, LLC, for an Order Extending Certain DiscoveryDeadlines; and counsel having made one prior request regarding extending fact discovery that wasendorsed on December 13, 2024 [Doc. No. 23]; and for good cause shown; IT IS on this 27th da y of January, 2025, ORDERED THAT: The Civil Case Management Plan and Scheduling Order entered August 16, 2024 [Dkt. No. 14] is hereby amended as follows: Deposition due by 5/7/2025., Expert Discovery due by 5/7/2025., Case Management Conference s et for 5/27/2025 at 12:00 PM in Courtroom 11B, 500 Pearl Street, New York, NY 10007 before Judge Jessica G. L. Clarke. All remaining entries and deadlines (including Sections 9(c) and 9(d)) in the Civil Case Management Plan and Scheduling Order [Doc. No. 14] and in Memo Endorsed December 11, 2024 Letter from Stanley Kallmann, Esq. [Doc. No. 23] shall remain unchanged. (And as further set forth herein.) SO ORDERED. (Signed by Judge Jessica G. L. Clarke on 1/27/2025) (jca)

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UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK FRANKLIN K. REALTY, LLC, Civil Action No: 1:24-cv-03441 (JGLC) Plaintiff, ORDER EXTENDING CERTAIN EXPERT DISCOVERY DEADLINES v. ASPEN AMERICAN INSURANCE COMPANY, Defendant. THIS MATTER, having come before the Court upon the joint application of Stanley Kallmann, Esq., counsel for Defendant Aspen American Insurance Company, and John Murphy, Esq., counsel for Plaintiff Franklin K. Realty, LLC, for an Order Extending Certain Discovery Deadlines; and counsel having made one prior request regarding extending fact discovery that was endorsed on December 13, 2024 [Doc. No. 23]; and for good cause shown; IT IS on this 27th day of January , 2025, ORDERED THAT: The Civil Case Management Plan and Scheduling Order entered August 16, 2024 [Dkt. No. 14] is hereby amended as follows: 1. Section 9(a) is amended to include reference to construction, engineering and design experts; 2. Section 9(b) is amended to include the following deadlines for expert discovery: • February 28, 2025: Plaintiff’s expert report due; • March 28, 2025: Defendant’s expert report due; • April 18, 2025: deadline for deposition of Plaintiff’s expert witnesses; and • May 7, 2025: deadline for deposition of Defendant’s expert witnesses. 1 3. Section 13 is amended to extend the post-expert discovery joint status letter to May 14, 2025; 4. The Case Management Conference, previously scheduled for March 4, 2025 at 10:00 a.m., is RESCHEDULED for May 27, 2025 at 12:00 p.m. in Courtroom 11B of the Daniel Patrick Moynihan United States Courthouse, 500 Pearl Street, New York, New York; and 5. All remaining entries and deadlines (including Sections 9(c) and 9(d)) in the Civil Case Management Plan and Scheduling Order [Doc. No. 14] and in Memo Endorsed December 11, 2024 Letter from Stanley Kallmann, Esq. [Doc. No. 23] shall remain unchanged. SO ORDERED. Dated: New York, New York January 27, 2025 Jessica G. L. Clarke, U.S.D.J. WEINER LAW GROUP LLP JOHN MURPHY & ASSOCIATES, P.C. BY: _/s/ Stanley W. Kallmann___ Stanley W. Kallmann, Esq. 629 Parsippany Road P.O. Box 0438 Parsippany, New Jersey 07054 Tel: (973) 403-1100 Attorneys for Defendant Aspen American Insurance Company BY: /s/ John Murphy_____________ John Murphy, Esq (JM-5094) 171 Madison Avenue, Suite 305 New York, New York 10016 Tel: (646) 862-2012 Attorneys for Plaintiff Franklin K. Realty, LLC 2

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