Gonzalez v. Theron
Trial Court Opinion
GODDARD LAW PLLC Broadway, Suite 1540 | New York, NY 10006 Office. 646.504.8363 Fax. 212.473.8705 [email protected] WWW.GODDARDLAWNYC.COM April 29, 2021 VIA ECF The Honorable Gabriel W. Gorenstein MEMORANDUM ENDORSEMENT United States District Court Southern District of New York Pearl Street, Room 6B New York, New York 10007 Re: Acacia Gonzalez v. Facegym NY LLC, et al.
Civ. No.: 20-cv-03854 (ALC) (GWG): Request to Adjourn Dear Judge Gorenstein: The undersigned represents Plaintiff Acacia Gonzalez (“Plaintiff”), in the above- referenced matter. We write with Defendants’ consent to respectfully request an adjournment of the pretrial conference currently scheduled for May 5, 2021, at 10:30 a.m because the Parties have a settlement in principle. This is Plaintiff's third request.
In accordance with Court’s availability confirmed with the Clerk, we request the conference be adjourned to June 10, 2021, at 10:30 a.m.
We thank the Court for its time and attention to this matter. conference is adjourned sine die. The application to Carter to approve the settlement pursuant to Chee Respectfully submitted, Freeport Pancake House, Inc., 796 F.3d 199 (2d Cir. shall be filed by June 10, 2021. GODDARD LAW PLLC W. le. By: Siobhan Klassen, Esq.
W. RENSTEIN ited States Magistrate Judge 30, 2021 ce: All Counsel of Record (via ECF)
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