District Court, S.D. New York, 2025

Mendez v. John Jay College of Criminal Justice

Mendez v. John Jay College of Criminal Justice
District Court, S.D. New York · Decided June 2, 2025
Mendez v. John Jay College of Criminal Justice

Trial Court Opinion

> eee ta ay = thee? □□□ KS Office of the New York State Letitia James Attorney General Attorney General May 30, 2025 Application GRANTED. The pre-motion conference Via ECF scheduled for July 8, 2025, is ADJOURNED to July 15, Honorable Lorna G. Schofield 2025, at 3:15 P.M. The Clerk of Court is respectfully United States District Judge directed to close the motion at Dkt. No. 102.

Southern District of New York Thurgood Marshall United States Courthouse Dated: June 2, 2025 Foley Square New York, New York New York, NY 10007 RE: Mendez v. John Jay College of Criminal Justice 1:23-CV-08816 (LGS) Lory, G. SCHOFIEL UNITED STATES DISTRICT JUDGE Dear Judge Schofield: This Office represents Defendant, The City University of New York (s/h/a “John Jay College of Criminal Justice”)! in this action. I write to request a short adjournment of the July 8, 2025 pre-motion conference because I will be out of the country on that date.

Earlier today, the Court issued a Second Amended Civil Case Management Plan and Scheduling Order. ECF No. 99. That Order scheduled a pre-motion conference for July 8, 2025.

Id. § 13(c). Unfortunately, as I will be out of the country from July 7-10, 2025 (see ECF No. 98), I respectfully request that the Court reschedule the July 8, 2025 conference for a date other than July 7-10, 2025.

Thank you for your time and consideration of this matter.

Respectfully submitted, /s/ Samuel A. Martin Samuel A. Martin Assistant Attorney General Tel.: (212) 416-8920 [email protected] CC: Plaintiff pro se (Via Mail and Email) 1 The John Jay College of Criminal Justice is a senior college of CUNY and is not a “legally cognizable entity apart from CUNY.” Clissuras v. City Univ. of N_Y., 359 F.3d 79, 81 n.2 (2d Cir. 2004); N.Y. Educ. Law § 6202(5).

Litigation Bureau | 28 Liberty Street, New York NY 10005 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK FRANKLIN MENDEZ Plaintiff, - against - No. 1:23-cv-8816 JOHN JAY COLLEGE OF CRIMINAL JUSTICE, DEFENDANT CERTIFICATE OF SERVICE Defendants.

SAMUEL MARTIN, pursuant to 28 U.S.C. § 1746, certifies under penalty of perjury as follows: I am employed as an Assistant Attorney General in the Office of the New York State Attorney General, attorney for Defendant The City University of New York (s/h/a “John Jay College of Criminal Justice”).

On May 30, 2025, I served a true and correct copy of Defendant’s May 30, 2025 letter to the Court concerning the July 8, 2025 conference on the below-listed Plaintiff pro se by email and by depositing a copy properly enclosed in a prepaid envelope, into a mail deposit box regularly maintained outside of 56 Beaver Street, New York, NY 10004 at the physical address designated by Plaintiff within the State of New York for that purpose as follows: Franklin Mendez P.O. Box 304 New York, NY 10108 [email protected] I certify under penalty of perjury under the laws of the United States of America that the foregoing is true and correct.

Dated: New York, New York May 30, 2025 Om SAMUEL MARTIN

Case-law data current through December 31, 2025. Source: CourtListener bulk data.