Spin Master Ltd. and Spin Master Toys UK Limited v. Chakaruna4169 et.al.
Trial Court Opinion
hy EPSTEIN DRANGEL LLP East 42nd Street, Suite 1250, New York, NY 10165 T: 212.292.5390 * E: [email protected] www.ipcounselors.com July 28, 2022 VIA ECF Hon. John P. Cronan United States District Judge Daniel Patrick Moynihan United States Courthouse Pearl Street New York, New York 10007 Re: = Spin Master Ltd., et al. v. chakaruna4169, et al., Civil Case No. 22-cv-553 Letter Request for Extension of Deadline to File Supplemental Brief Dear Judge Cronan, We represent Plaintiffs Spin Master Ltd. and Spin Master Toys UK Limited (“Plaintiffs”) in the above-referenced matter (the “Action”).! On July 27, 2022, the Court entered an Order directing Plaintiffs file a supplemental brief by August 4, 2022 (“Supplemental Brief”). (Dkt. 40). For the reasons set forth herein, Plaintiffs respectfully request a short one-week extension of time to file their Supplemental Brief, until August 11, 2022. In accordance with Your Honor’s Individual Rules of Practice, Plaintiffs respectfully submit the following: 1. The original date(s) set for the appearance or deadline(s) and the new date(s) requested: The original deadline for Plaintiffs to file the Supplemental Brief is August 4, 2022, Plaintiffs respectfully request a one-week extension, to August 11, 2022; 2. The reason(s) for the request: Plaintiffs respectfully request additional time to analyze Judge Woods’ opinion in Smart Study Co. v. Acuteye-US, No. 21 Civ. 5860 (GHW), 2022 WL 2872297 (S.D.N.Y. July 21, 2022) and reconcile Judge Woods’ opinion with the contrary authority and the facts of this case; 3. Number of previous requests for adjournment or extension: None, this is Plaintiffs’ first request for an extension of time to file their Supplemental Brief; 4. Whether these previous requests were granted or denied: N/A; 5. Whether opposing counsel consents: All of the Defendants remaining in this Action are currently in default and thus Plaintiffs did not seek their consent.
We thank the Court for its time and attention to this matter.
Where a defined term is referenced herein but not defined, it should be understood as it is defined in the Glossary in Plaintiffs’ Complaint or Application.
Respectfully submitted, EPSTEIN DRANGEL LLP BY: _/s/ Danielle S. Futterman Danielle S. Futterman [email protected] East 42nd Street, Suite 1250 New York, NY 10165 Telephone: (212) 292-5390 Facsimile: (212) 292-5391 Attorneys for Plaintiffs Spin Master Ltd. and Spin Master Toys UK Limited This request is granted. Plaintiffs shall file the supplemental brief by August 11, 2022. The Clerk of the Court is respectfully directed to close the motion pending at Docket Number 41.
SO ORDERED. Vtf2.
Date: July 28, 2022 New York, New York J OHN P. CRONAN United States District Judge
Case-law data current through December 31, 2025. Source: CourtListener bulk data.