Sackey v. Abdi
Sackey v. Abdi
Trial Court Opinion
Law Office of Andrew C. Laufer, PLLC
264 W. 40" Street, Suite 604 New York, NY 10018 (212) 422-1020 — Phone (212) 422-1069 — Facsimile www.lauferlawgroup.com October 19, 2023 VIA ECF United States District Court Southern District of New York USDC SDNY 500 Pearl Street. Room 1010 DOCUMENT New York, NY 10007 ELECTRONICALLY FILED
RE: Sackey v. Abdi, et al oe mar 10/19/2023 Docket No.: 1:23-cv-05119-JHR Se ES einen Dear Honorable Jennifer H. Rearden: This office, as co-counsel with Law Firm of Gropper and Nejat, PLLC, represents Plaintiff, Kelvin Sackey, against the Defendants, Ismail Abdi, J.B. Hunt Transport, Inc., J.B. Hunt Transport Services Inc., and J.B. Hunt Logistics, in the above referenced action. I write, with the consent of Defendant’s counsel, to respectfully request an adjournment of the pre-trial conference currently scheduled for October 23, 2023 at 11:30 am to a date and time convenient for the Court due to a conflict. This is the first request for an adjournment of the initial pre-trial conference. Thank you for your time and consideration of this matter.
Respéctfully submitted,
A Laufer
Application GRANTED. The initial pretrial conference is adjourned to October 31, 2023 at 12:15 p.m. The parties are reminded to submit the joint letter and proposed case Ce: GALLO VITUCCI KLAR LLP management plan outlined in ECF No. 7 no later than one Attorney for Defendants week prior to the conference date. Heather C. Ragone, Esq. SO ORDERED.
ACT Jennifer H. Rearden, U.S.D.J.
Reference
- Status
- Unknown