Zelvin v. Saturdays Surf, LLC

Filing 8

ORDER granting in part #7 Letter Motion to Adjourn Conference. Application GRANTED in part. The initial pretrial conference scheduled for July 10, 2024, is ADJOURNED to July 24, 2024, at 4:10 P.M. The parties shall file their initial pretrial conference materials by July 17, 2024. The Clerk of Court is respectfully directed to close the motion at Dkt. No. 7. Initial Conference set for 7/24/2024 at 04:10 PM before Judge Lorna G. Schofield. (Signed by Judge Lorna G. Schofield on 7/3/2024) (mml)

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100 Duffy Ave., Suite 510 Hicksville, NY 11801 Tel.: 929.324.0717 Mars Khaimov Law, PLLC Fax: 929.333.7774 E-mail: mars@khaimovlaw.com Application GRANTED in part. The initial pretrial conference scheduled for July 10, 2024, is ADJOURNED to July 24, 2024, at 4:10 P.M. The parties shall file their VIA ECF initial pretrial conference materials by July 17, 2024. The Honorable Judge Lorna G. Schofield Clerk of Court is respectfully directed to close the motion United States District Court at Dkt. No. 7. Southern District of New York Thurgood Marshall Dated: July 3, 2024 United States Courthouse New York, New York 40 Foley Square New York, NY 10007 Courtroom 1106 Re: Case 1:24-cv-03826-LGS - Zelvin v. Saturdays Surf, LLC Plaintiff’s Letter Motion Requesting Adjournment of Initial Conference Dear Judge Lorna G. Schofield: I represent plaintiff Lynn Zelvin, in the above-referenced ADA website accessibility case, and I write with the consent of Defendant’s counsel to request that the telephonic initial conference scheduled for July 10, 2024 at 4:10 p.m. before Judge Lorna G. Schofield as per the directives set forth in the May 21, 2024 order. Plaintiff’s counsel will be travelling in Asia during the week of this conference and will be unable to join the conference line by telephone. Plaintiff’s counsel is not yet in communication with the Defendant, although proof of service was just recently obtained, showing that the Defendant was served with the lawsuit papers on June 20, 2024. Accordingly, Plaintiff requests a thirty (30) day adjournment of up through and until July 27, 2024, for the Defendant to appear in this instant lawsuit. This is the Plaintiff’s first request to adjourn the initial conference. We thank Your Honor for the attention and consideration herein. Respectfully submitted, /s/ Mars Khaimov Attorneys for Plaintiff Cc: all Counsel of record on ECF

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