Cano v. Sebastians Pizzeria Inc.
Trial Court Opinion
LEE LITIGATION GROUP, PLLC |e 148 W. 247? STREET, EIGHTH FLOOR DOCUMENT NEw YORK, NY 10011 ELECTRONICALLY FILEI TEL: 212-465-1180 FAX: 212-465-1181 DOC #: [email protected] DATE FILED: □□□□□□□□ WRITER’S DIRECT: 212-465-1188 cklee @leelitigation.com November 8, 2019 Via ECF The Honorable Katharine H. Parker, U.S.M.J.
United States District Court APPLICATION GRANTED Southern District of New York Pearl Street Katha tf □□ □□□ 1 York, NY 10007 New York, NY 1000 Hon. Katharine H. Parker, U.S.M.J.
Re: Cano v. Sebastians Pizzeria Inc. et al 11/12/2019 Case No.: 1:19-cv-2595-ALC-KHP Dear Judge Parker: We are counsel to Plaintiff in the above-referenced matter. We write, jointly with counsel to Defendants, to respectfully request extending the time to file the fairness by thirty (30) days.
The reason for this request is to allow the parties to execute the finalized settlement agreement.
The settlement agreement is currently out for execution with Defendants.
This is the parties’ second request for the relief requested herein. Currently, the deadline to file the fairness is November 8, 2019.
We thank Your Honor for considering this matter.
Respectfully submitted, /s/ C.K. Lee C.K. Lee, Esq. cc: all parties via ECF
Case-law data current through December 31, 2025. Source: CourtListener bulk data.