OConner v. Agilant Solutions, Inc.
Trial Court Opinion
THE LAW OFFICE of CHRISTOPHER Q. DAVIS August 28, 2020 VIA ECF Hon. Sarah L. Cave United States District Court Southern District of New York Pearl Street, Courtroom 18A New York, New York 10007-1312 Re: = O’Conner et al v. Agilant Solutions, Inc., Civil Action No. 1:18-cv-06937-SLC Dear Judge Cave: We represent Plaintiffs in the above reference matter. We write jointly with Defendant’s counsel to respectfully request that the Court grant the parties a two week extension, until September 23, 2020, to submit the letter motion, pursuant to Cheeks v. Freeport Pancake House, Inc., 796 F.3d 199, 206 (2d Cir. 2015), requested by the Court’s Order. See Dkt. No. 141. The parties are currently drafting the Settlement Agreement and with over twenty party-plaintiffs in this matter, anticipate needing these additional two weeks to finalize the agreement and obtain signatures from all party-plaintiffs. This is the parties first request for an extension of this deadline.
We thank the Court for its consideration of this matter. Should the Court have any questions or concerns please do not hesitate to contact the undersigned.
THE LAW OFFICE OF CHRISTOPHER Q. DAVIS RAAB, STURM & GANCHROW, LLP By: —__/s/ By: —__/s/ Christopher Q. Davis Tra Sturm Counsel for Plaintiffs and Counsel for Defendant Putative Class and Collective The parties’ joint Letter-Motion (ECF No. 142) is GRANTED. The parties are directed to file their settlement documents for approval by Wednesday, September 23, 2020.
The Clerk of Court is respectfully directed to close ECF No. 142. my Uf SO-ORDERED 9/1/2020 wale (diea st neeeare Judge BROAD STREET, SUITE 703 NEW YORK, NY 10004 646-430-7930 | WORKINGSOLUTIONSNYC.COM
Case-law data current through December 31, 2025. Source: CourtListener bulk data.