Zanca v. Nails Inc. USA
Zanca v. Nails Inc. USA
Trial Court Opinion
reiiieaaiciarciiren sea” Managing Associate Avenue of the Americas New York, NY 10020-1089 timothy.straub @dentons.com United States D +1 212 768 6821 ** Salans FMC SNR Denton McKenna Long dentons.com
January 14, 2021 VIA ECF The Honorable Ronnie Abrams United States District Judge Southern District of New York 40 Foley Square New York, New York 10007
Re: Zanca v. Nails Inc. USA: Case No. 1:20-cv-06971-RA Dear Judge Abrams: We represent defendant Nails Inc. USA (“Defendant”) in the above-referenced matter. Together with counsel for plaintiff, we jointly and respectfully move this Court to stay all case deadlines in this action for forty five (45) days, from January 14, 202 to March 1, 2021. This requested stay will permit the parties to finalize their efforts to bring about the voluntary dismissal of all claims asserted in this action without further litigation. Once those efforts are complete, the parties will file a stipulation of voluntary dismissal. The parties further respectfully request the Court adjourn, sine die, the initial conference currently scheduled for tomorrow, January 15, 2021 at 11:00 a.m. (Dkt. 16.) Respectfully submitted,
/s/ Timothy J. Straub Timothy J. Straub
cc: All counsel of record (by ECF) Application granted. The initial pre-trial conference, scheduled □□□ January 15, 2021, is hereby adjourned sine die. No later than Ma 2021, the parties shall submit a joint status letter informing the Co the status of its settlement efforts. If the parties seek to have the retain jurisdiction to enforce a settlement agreement, the terms of agreement must be placed on the public record and “so □□□□□□□□ | Court. See Hendrickson v. United States,
791 F.3d 354, 358(2d 2015). SO ORDERED.
116280706
Reference
- Status
- Unknown