Santana et al v. Mount Vernon City School District/ Board of Education et al

Filing 93

ORDER granting 92 Letter Motion to Adjourn Conference. In light of the extension of the discovery deadline, the parties' joint request to adjourn the Status Teleconf. from Mar. 28, 2024 until May 21, 2024 at 10:00 am is GRANTED. Counsel are directed to this Court's Order at ECF No. 67 for dial-in instructions. Clerk of Court is requested to terminate the motion at ECF No. 92. Telephone Conference set for 5/21/2024 at 10:00 AM before Judge Nelson Stephen Roman. (Signed by Judge Nelson Stephen Roman on 3/26/2024) (vfr)

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Case 7:20-cv-03212-NSR-VR Document 92 Filed 03/25/24 Page 1 of 1 In light of the extension of the discovery deadline, the parties' joint request to adjourn the Status Teleconf. from Mar. 28, 2024 until May 21, 2024 at 10:00 am is March 25, 2024 GRANTED. Counsel are directed to this Court's Order at ECF No. 67 for Via ECF dial-in instructions. Clerk of Hon. Nelson S. Román Court is requested to United States District Court terminate the motion at ECF Southern District of New York 300 Quarropas Street No. 92. White Plains, New York 10601-4150 Dated: White Plains, NY March 26, 2024 Re: Santana and Duffy v. Mount Vernon CSD, et al. Docket No.: 20 CV 03212 (NSR)(VR) Our File No.: 5001.542 Dear Judge Román: We represent the Defendants in the above-referenced matter and write on behalf of all parties to respectfully request that the case management conference currently scheduled for March 28, 2024 be adjourned. This is the third request for such an adjournment and the other requests were granted (ECF 81, 85). As with the prior request, Judge Reznik has recently granted another request by the parties to extend the deadline for all discovery. The new deadline is now April 21, 2024 (ECF 91). Judge Reznik also ordered that no further extensions of this deadline be permitted. Accordingly, we respectfully request that the case management conference before Your Honor be adjourned to a date after April 21, 2024 that is convenient to the Court. We thank you for your attention to this matter. Respectfully Submitted, SILVERMAN & ASSOCIATES 03/26/2024 CC: By: /s/ Deanna L. Collins Deanna L. Collins Attorneys for Defendants 445 Hamilton Avenue, Suite 1102 White Plains, NY 10601 (914) 574-4510 dcollins@silvermanandassociatesny.com all counsel of record (by ECF)

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