Smolen, Jr. v. Wesley et al
Filing
146
ORDER granting 145 LETTER MOTION for Extension of Time to File to file proposed Joint Pretrial Order. Application granted. The parties are directed to meet and confer to discuss the completion of a proposed Joint Pretrial Order in compliance w ith this Court's Individual Practices Rule 6.A. Defendants are directed to file a proposed Joint Pretrial Order by February 18, 2022. Defendants are directed to serve a copy of this Order on Plaintiff and file proof of service on the docket. The Clerk of the Court is respectfully directed to terminate the motion sequence pending at Doc. 145. SO ORDERED. (Signed by Judge Philip M. Halpern on 1/12/2022) (jca)
Case 7:16-cv-02417-PMH Document 146 Filed 01/12/22 Page
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Case 7-16-cv-02417-PMH Document 145 Filed in NYSD on 01/11/20221 ofPage 1 of 1
Application granted. The parties are directed to meet and
confer to discuss the completion of a proposed Joint
Pretrial Order in compliance with this Court's Individual
Practices Rule 6.A. Defendants are directed to file a
proposed Joint Pretrial Order by February 18, 2022.
STATE OF Defendants are directed to serve a copy of this Order on
NEW YORK
Plaintiff and file proof of service on the docket.
OFFICE OF THE ATTORNEY GENERAL
LETITIA JAMES
DIVISION OF STATE COUNSEL
The Clerk of the Court is respectfully directed toBUREAU
LITIGATION terminate
the motion sequence pending at Doc. 145.
ATTORNEY GENERAL
WRITER’S DIRECT DIAL: (212) 416-8118
SO ORDERED.
January 11, 2022
By ECF
Honorable Philip M. Halpern
Hon. Charles L. Brieant Jr.
Federal Building and Courthouse
300 Quarropas Street, Room 530
White Plains, New York 10601
Re:
_______________________
Philip M. Halpern
United States District Judge
Dated: White Plains, New York
January 12, 2022
Smolen, Jr. v. Wesley, 16 Civ. 2417 (PMH)
Dear Judge Halpern:
This Office represents Defendants Wesley, Stevens, Lampon, Connelly, Pollic, Pressley,
and Cabral (“Defendants”) in the above-captioned case. On January 11, 2022, the undersigned met
and conferred with Plaintiff, and we have been informed by Plaintiff that he is scheduled to
undergo prostate surgery this week and will need time to recover.
Therefore, we write, with Plaintiff’s consent, to respectfully request an extension of time
to submit a proposed Joint Pretrial Order, as set forth in the Court’s October 13, 2021 Order (ECF
No. 141), from January 17, 2022 to February 18, 2022.
This is the first request for an extension of the deadline for the submission of the
proposed Joint Pretrial Order.
Respectfully Submitted,
/s/
Julinda Dawkins
Assistant Attorney General
Julinda.Dawkins@ag.ny.gov
cc:
Samuel Smolen, DIN 85-A-4082
Wende Correctional Facility (via mail)
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