Pattern Energy Group LP v. Perillo et al
Filing
32
ORDER granting 31 Letter Motion to Adjourn Conference. The request for an adjournment of the parties' initial pre-trial conference is GRANTED. The conference scheduled for March 18, 2025 shall be rescheduled to April 2, 2025 at 10:00 a.m. SO ORDERED. Initial Conference set for 4/2/2025 at 10:00 AM before Judge Jennifer L. Rochon. (Signed by Judge Jennifer L. Rochon on 3/10/2025) (tg)
1271 Avenue of the Americas | New York, NY 10020
Phone:
(212) 885-5345
Fax:
(917) 332-3798
Email:
Andrew.Hambelton@blankrome.com
March 7, 2025
VIA ECF
The Honorable Jennifer L. Rochon
United States District Court
Southern District of New York
500 Pearl Street, Room 1920
New York, NY 10007
RE:
The request for an adjournment of the parties' initial pre-trial
conference is GRANTED. The conference scheduled for March
18, 2025 shall be rescheduled to April 2, 2025 at 10:00 a.m.
Dated: March 10, 2025
New York, New York
SO ORDERED.
JENNIFER L. ROCHON
United States District Judge
Pattern Energy Group LP v. Michael Perillo et al.,
Case No. 1:25-cv-00785-JLR
UNOPPOSED LETTER MOTION TO
CONTINUE INITIAL PRETRIAL CONFERENCE
Dear Judge Rochon:
We write on behalf of Defendants Michael Perillo and Kelly Perillo in the above-referenced
action and submit this Letter Motion with respect to the Initial Pretrial Conference currently
scheduled for March 18, 2025 (ECF No. 5).
We write to request a brief continuance of the Initial Pretrial Conference due to a
preexisting scheduling conflict of Defendants’ counsel, including prepaid travel and a speaking
engagement out of state on the same date. We are available for a conference with the Court the
week of March 31, 2025, or any time thereafter. This is the first request to adjourn the conference,
which has not previously been adjourned, and the parties are not presently scheduled to appear
before the Court on any other date.
Defendants’ counsel conferred with Plaintiff’s counsel regarding this request, and Plaintiff
consents to this request. Additionally, the parties met and conferred in advance of the conference
and filed a joint letter to the Court pursuant to Section 2.D of the Court’s Individual Rules and
Practices in Civil Cases. (See ECF No. 30.)
We appreciate the Court’s consideration of this request. If the Court has any questions or
needs additional information, please let us know.
Case 1:25-cv-00785-JLR
Document 31
Filed 03/07/25
Page 2 of 2
The Honorable Jennifer L. Rochon
March 7, 2025
Page 2
Respectfully submitted,
/s/ Andrew T. Hambelton
Andrew T. Hambelton
BLANK ROME LLP
1271 Avenue of the Americas
New York, NY 10020
Tel: (212) 885-5000
Fax: (212) 885-5001
Andrew.Hambelton@blankrome.com
Counsel for Defendants
Michael Perillo and Kelly Perillo
cc:
All counsel of record via ECF
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