Sultana v. NYC 121 Foods Inc
Trial Court Opinion
Abdul Hassan Law Group, PLLC 215-28 Hillside Avenue Queens Village, New York, 11427 Abdul K. Hassan, Esq. Tel: 718-740-1000 Email: [email protected] Fax: 718-740-2000 Employment and Labor Lawyer Web: www.abdulhassan.com September 16, 2024 Via ECF Hon. Arun Subramanian, USDJ United States District Court, SDNY Pearl Street, New York, NY 10007-1312 Re: Sultana v. NYC 121 Foods Inc et al Case No. 24-CV-06601 (AS) Motion for Extension of Time Dear Judge Subramanian: My firm represents Plaintiff in the above-referenced action, and I respectfully write to request a two-week adjournment of the September 17, 2024 deadline for Plaintiff to file a response to Your Honor’s September 3, 2024 Order. This request is being made because some additional time is needed to confer and evaluate the standard set forth in Guthrie v. Rainbow Fencing Inc., No. 23-350, 2024 WL 3997427 (2d Cir. Aug. 30, 2024), and how best to satisfy that standard. No prior request for an extension of this deadline was made and granted.
I thank the Court in advance for its time and consideration.
Respectfully submitted, Counsel's request is GRANTED in part. Plaintiff's response to the Court's September 3, 2024 Order, ECF No. 7, should Abdul Hassan Law Group, PLLC be filed by September 20, 2024. The Clerk of Court is /s/ Abdul Hassan directed to terminate the motion at ECF No. 9.
By: Abdul K. Hassan, Esq. (AH6510) Counsel for Plaintiff SO ORDERED.
Arun Subramanian, U.S.D.J.
Date: September 17, 2024
Case-law data current through December 31, 2025. Source: CourtListener bulk data.