Gibson v. Rivers and Hills Hospitality Group LLC
Gibson v. Rivers and Hills Hospitality Group LLC
Trial Court Opinion
Bell Law Group, PLLC ky 2) 116 Jackson Avenue Fan) a) Syosset, New York 1179 T (516) 280-3008 DOCUMENT F (516) 706-469: BellLG.con eae ELECTRONICALLY FILED DOC #: DATE FILED: 5/22/2023 Via PACER May 19, 2023 Hon. Mary Kay Vyskocil United States District Court Southern District of New York 500 Pearl Street New York, NY 10007 Re: GIBSON V. RIVER AND HILLS et al 1:23-cv-348 (MKV) Joint Letter Request Hon. Mary Kay Vyskocil: My office represents Plaintiff in the above referenced matter. We write to request a two- week extension of the parties’ time to file an executed stipulation of discontinuance. Defendants join in this request. The entirety of the settlement agreement has been prepared and approved by the parties; we await client signatures. We would certainly understand if this extension is marked “final” and and we appreciate the Court’s patience in permitting the parties to proceed to settlement in an amicable and efficient fashion. My office remains available should any further information be required. Thank you for your time and consideration.
R full i The deadline to move to reopen this case is espectfully Submitted, ADJOURNED to June 2, 2023. The parties BELL LAW GROUP, PLLC do not need to file an executed stipulation of 7 ae discontinuance on or before that date. As Gober specified in this Court's Order at ECF No. 20, if the parties do not move to restore this action or or before that date, this action will Daniel A. Johnston, Esq. be dismissed with prejudice.
Date: >/22/2023 K, [/ New York, New York Mary|Kay V¥skocil nited States District Judge
5 Penn Plaza, 234 Floor 100 Quentin Roosevelt Blvd. Ste. 208 1629 K Street, NW, Suite 300
10750 NW 6" Court
Reference
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