Rivera v. Experian Information Solutions, Inc. et al

Filing 48

ORDER granting 46 Letter Motion to Adjourn Conference. Application GRANTED. The conference, previously scheduled for September 12, 2024, is hereby ADJOURNED to October 1, 2024, at 11:00 a.m. The parties must file their Pre-Conference Statement (see Dkt. 43) no later September 24, 2024. Initial Conference set for 10/1/2024 at 11:00 AM before Magistrate Judge Barbara C. Moses. (Signed by Magistrate Judge Barbara C. Moses on 8/29/2024) (tro)

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Application GRANTED. The conference, previously scheduled for September 12, 2024, is hereby ADJOURNED to October 1, 2024, at 11:00 a.m. The parties must file their Pre-Conference Statement (see Dkt. 43) no later than September 24, 2024. SO ORDERED. TIMOTHY M. HAGGERTY thaggerty@fklaw.com 212.833.1251 _________________________ Barbara Moses United States Magistrate Judge August 29, 2024 8/29/2024 August 28, 2024 VIA ECF Hon. Barbara Moses United States Magistrate Judge Daniel Patrick Moynihan Courthouse 500 Pearl Street, Room 740 New York, NY 10007 Re: Rivera v. Experian Information Solutions, Inc. et al., No. 24-cv-04684 (GHW) (BMC) Dear Judge Moses: This firm represents The Trustees of Columbia University in the City of New York (“Columbia University”) in the above-referenced litigation. We write pursuant to Paragraph 2.a of the Court’s Individual Practices to respectfully request an adjournment of the initial case management conference currently scheduled for September 12, 2024 (ECF No. 43). We have conferred with all counsel, and all counsel have advised that they consent to the requested adjournment and would be available on September 30, 2024 (at or after 10:00 a.m.) and on October 1, 2024 (from 10:00 a.m. until 1:00 p.m.), if either of those dates might be convenient to the Court. There have been no previous adjournments of the initial case management conference in this matter. The reason for this requested adjournment is that I am currently scheduled to be in California on September 12 in connection with my representation of an individual who is currently anticipated to testify as a witness at a criminal trial in the United States District Court for the Central District of California on or about that date. As stated above, counsel for all parties consent to this requested adjournment. We thank the Court for its consideration of this request. Respectfully, cc: All Counsel (by ECF) Timothy M. Haggerty Friedman Kaplan Seiler Adelman & Robbins LLP 7 Times Square, New York, NY 10036-6516 4892-2440-8286.1

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