Rivera v. Connolly et al

Filing 74

ORDER granting 73 Letter Motion for Extension of Time to File. Application granted. Defendant's time to serve and file a pre-motion letter regarding his anticipated motion for summary judgment is extended to and including June 2, 2021. The Clerk of the Court is respectfully directed to terminate the motion sequence pending at Doc. 73 and mail a copy of this Order to Plaintiff. SO ORDERED. (Signed by Judge Philip M. Halpern on 5/3/2021) (kv) Transmission to Docket Assistant Clerk for processing.

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Application granted. Defendant's STATE OF NEW YORK time to serve and file a pre-motion letter regarding his anticipated motion for OFFICE OF THE ATTORNEY GENERAL summary judgment is extended to and including June 2, 2021. DIVISION OF STATE COUNSEL LETITIA JAMES ATTORNEY GENERAL LITIGATION BUREAU The Clerk of the Court is respectfully directed to DIRECT DIAL: (212) 416-8561 the motion sequence pending at Doc. terminate 73 and mail a copy of this Order to Plaintiff. April 30, 2021 SO ORDERED. BY ECF The Honorable Philip M. Halpern United States District Judge Southern District of New York 500 Pearl Street New York, New York 10007 Re: _______________________ Philip M. Halpern United States District Judge Dated: White Plains, New York May 3, 2021 Rivera v. Connolly, 18-CV-3958 (PMH) Dear Judge Halpern: I write respectfully to request a thirty-day adjournment of defendants’ time to file a premotion letter from May 3, 2021, to June 2, 2021. On April 1, 2021, I appeared in this matter in place of Assistant Attorney General Jonathan Wilson who left the office. See Docket Nos. 70-72. Since that time, I have had a number of deadlines in other matters and, as a result, have not yet been able to complete my review of the case file. The additional time will allow me to complete my review prior to filing a pre-motion letter with the Court. I understand from the Docket sheet that this is defendant’s third request for an extension of the deadline to file a pre-motion letter with the Court, although it is my first such request since appearing in the case. Counsel for plaintiff, Alan Levine, Esq., consents to this application. Thank you. Respectfully submitted, cc: Alan Levine, Esq. (by ECF) /s/ Neil Shevlin Neil Shevlin Assistant Attorney General Neil.Shevlin@ag.ny.gov 28 LIBERTY STREET, NEW YORK N.Y. 10005 • PHONE (212) 416-8610 • FAX (212) 416-6075 *NOT FOR SERVICE OF PAPERS HTTP://WWW.AG.NY.GOV

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