Norris v. Carpet Culture & Rugs Inc. et al
Filing
6
ORDER granting #5 Letter Motion to Adjourn Conference. Application GRANTED. The initial pretrial conference scheduled for September 4, 2024, is adjourned to October 2, 2024, at 4:20pm. The materials described at Dkts. 3 and 4 shall be filed by September 25, 2024. Initial Conference set for 10/2/2024 at 04:20 PM before Judge Lorna G. Schofield. (Signed by Judge Lorna G. Schofield on 8/29/2024) (mml)
THE WEITZ LAW FIRM, P.A.
Bank of America Building
18305 Biscayne Blvd., Suite 214
Aventura, Florida 33160
August 28, 2024
VIA CM/ECF
Honorable Judge Lorna G. Schofield
United States District Court
Southern District of New York
40 Foley Square - Courtroom 1106
New York, NY 10007
Re:
Application GRANTED. The initial pretrial conference
scheduled for September 4, 2024, is adjourned to October 2,
2024, at 4:20pm. The materials described at Dkts. 3 and 4
shall be filed by September 25, 2024.
Dated: August 29, 2024
New York, New York
Norris v. Carpet Culture & Rugs Inc., et al.
Case 1:24-cv-05171-LGS
Dear Judge Schofield:
The undersigned represents the Plaintiff in the above-captioned case matter. Per Order [D.E.
4], Plaintiff is to file a status letter regarding his efforts to serve Defendants and to request an
adjournment of the initial conference no later than August 28, 2024. The Case Management Plan and
Joint Letter is due from the parties August 28, 2024. However, there has not been a formal appearance
of attorney for this case. We were in communication with attorney Jeffrey Chancas, Esq. who we
thought would be representing in this case, but he has relayed that he has not been retained. We have
subsequently reached out to Hector M. Roman, Jr. Esq. who had been counsel for the Defendants in
the prior Norris v. Carpet Culture & Rugs Inc., Case 1:24-cv-02556-JGLC, that had been prematurely
dismissed by the Court. We have reached out to Mr. Roman to advise him of this current case’s
refiling on the docket. We expect to hear from him soon on his representation of the Defendants in
this matter.
In order to allow the parties adequate time to engage in early settlement discussions, while
affording additional time for the defendants to appear, a 30-day adjournment of the Conference is
hereby respectfully requested to a date most convenient to this Honorable Court.
Thank you for your consideration of this matter and first adjournment request.
Sincerely,
By: /S/ B. Bradley Weitz
.
B. Bradley Weitz, Esq. (BW9365)
THE WEITZ LAW FIRM, P.A.
Attorney for Plaintiff
Bank of America Building
18305 Biscayne Blvd., Suite 214
Aventura, Florida 33160
Telephone: (305) 949-7777
Facsimile: (305) 704-3877
Email: bbw@weitzfirm.com
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