Ross et al v. Artisan Stone of NY LLC et al

Filing 18

ORDER granting 17 Letter Motion for Extension of Time; granting 17 Letter Motion to Adjourn Conference. Initial conference adjourned to 2/21/23 at 10:45 am. Proposed scheduling order to be submitted by 2/16/23. SO ORDERED. (Initial Conference set for 2/21/2023 at 10:45 AM before Judge Cathy Seibel.) (Signed by Judge Cathy Seibel on 1/17/2023) (mml)

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Case 7:22-cv-08974-CS Document 18 Filed 01/17/23 Page 1 of 2 4242 MERRICK ROAD, MASSAPEQUA, NEW YORK 11758 NEIL H. GREENBERG, ESQ. JUSTIN M. REILLY, ESQ. KEITH E. WILLIAMS, ESQ. VICTORIA SPAGNOLO, ESQ. PARALEGALS Initial conference adjourned to 2/21/23 at 10:45 am. Proposed scheduling order to be submitted by 2/16/23. Via: ECF January 16, 2023 Honorable Judge Cathy Seibel United States District Judge United States District Court Southern District of New York 300 Quarropas St. White Plains, NY 10601-4150 Re: ROSA COLLINS CATALINA ROMAN 1/17/23 Ross, et al. v. Artisan Stone of NY LLC, et al.; 22-cv-08974 (CS) Dear Judge Seibel, My office represents Plaintiffs in the above-referenced FLSA action. Pursuant to Your Honor’s Individual Rules, kindly accept this joint letter motion requesting the Parties’ deadline to complete mediation be extended up to and including February 16, 2023. The current deadline is January 17, 2023. This is the Parties’ first such request. The reason for this request is due to various scheduling conflicts between counsel (including an upcoming trial for Plaintiffs’ counsel), the Parties, and the mediator. We have conferred with the mediator and the earliest we are able to proceed to mediation is on February 9, 2023. The Parties also respectfully request an adjournment of the initial conference until, at least, February 20, 2023, so that Parties may first have an opportunity to complete mediation. The initial conference of this matter is currently scheduled on January 26, 2023, and this is the Parties’ first such request. [Continued on Next Page] PHONE: 516.228.5100 WWW.NHGLAW.COM FAX: 516.228.5106 INFO@NHGLAW.COM WWW.NEWYORKOVERTIMELAW.COM Case 7:22-cv-08974-CS Document 18 Filed 01/17/23 Page 2 of 2 Page |2 Accordingly, we respectfully request a brief extension to complete mediation up to and including February 16, 2023, and a brief adjournment of the initial conference, to February 20, 2023 or sometime shortly thereafter Thank you for your time and attention to this matter. Respectfully submitted, Victoria Spagnolo, Esq. cc: all counsel of record via ECF PHONE: 516.228.5100 WWW.NHGLAW.COM FAX: 516.228.5106 INFO@NHGLAW.COM WWW.NEWYORKOVERTIMELAW.COM

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