Emanuel et al v. Gap, Inc. et al

Filing 194

ORDER granting 193 Letter Motion for Extension of Time to File. Application granted to the extent that the time for the parties to file those materials required by Rules 6(A) and 6(B) of this Court's Individual Practices is extended to Octob er 16, 2023. The pretrial conference scheduled for October 26, 2023 at 12:00 p.m. will proceed as scheduled in Courtroom 520 of the White Plains Courthouse. The Clerk of Court is respectfully directed to terminate the motion sequence pending at Doc. 193. SO ORDERED.. (Signed by Judge Philip M. Halpern on 8/24/2023) (jca)

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Littler Mendelson, PC 900 Third Avenue New York, NY 10022.3298 Jean L. Schmidt 212.497.8486 direct 212.583.9600 main 646.417.7534 fax jschmidt@littler.com August 23, 2023 VIA ECF Hon. Phillip M. Halpern United States District Court Southern District of New York Daniel Patrick Moynihan United States Courthouse 500 Pearl St. New York, NY 10007-1312 Re: Emanuel v. Gap, Inc., et al. Case No.: 19-cv-03617-PMH-AEK Dear Judge Halpern: We represent Defendants Gap, Inc., Banana Republic, LLC, Michelle Russo, Toni Lynn Borowski and Gregoire Jean-Louis (collectively “Defendants”) in connection with the above-referenced Application granted to the extent that the time for the matter. parties to file those materials required by Rules 6(A) and 6(B) of this Court's Individual Practices is extended to We write to request an adjournment of thOctober 16, 2023. The pretrial conference scheduled for and Order for the Parties to file the doc October 26, 2023 at 12:00 p.m. will proceed as Individual Practices and the pretrial conf scheduled in Courtroom 520 of the White Plains the Parties time to attempt to resolve th Courthouse. on t’s de The Clerk of Court is respectfully directed to terminate the The Parties have agreed to engage in me motion sequence pending at Doc. 193. 2, 2023, which was the earliest date th available. This is after September 13, 20 SO ORDERED. required pretrial documents. Accordingly file the required pretrial documents be a_______________________ pretrial conference be adjourned to a da Philip M. Halpern er re he to he Plaintiffs’s counsel has advised that the documents should be adjourned to afte Dated: White Plains, New York August 24, 2023 Defendants propose for the submission. al we United States District Judge Thank Your Honor for your consideration. Hon. Phillip M. Halpern August 23, 2023 Page 2 Respectfully submitted, /s/ Jean L. Schmidt Jean L. Schmidt cc: All counsel of record (via ECF)

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