Quintero v. Moalemzadeh

District Court, S.D. New York

Quintero v. Moalemzadeh

Trial Court Opinion

ROMERO Peter A. Romero, □□□ David D. Barnhorn, E: LAW GROUP PLLC es LABOR AND EMPLOYMENT LITIGATION Matthew J. Farnworth, Esc

August 14, 2025 The request is granted. The parties' time to submit all paperworl VIA ECF connection with any settlement requiring Court approval under Che Hon. John P. Cronan v. Freeport Pancake House,

796 F. 3d 199

(2d Cir. 2015), and United States District Judge other necessary information, is extended to August 29, 2025. United States District Court Southern District of New York SO ORDERED —Vha Lop 72 500 Pearl Street Aueust 15. 2025 New York, New York 10007 8 ° JOHN P. CRONAN New York, New York United States District Judge Re: — Veronica Quintero v. Kamiar Moalemzadeh, et al. Docket No. 25-cv-00486 (JPC) Dear Judge Cronan: This firm represents Plaintiff Veronica Quintero in this matter against Defendants Kamiar Moalemzadeh a/k/a Kammy Moalemzadeh and Brett Helsham (collectively as “Defendants”). Following mediation, the Court entered an order directing the parties to submit all paperwork in connection with any settlement requiring Court approval under Cheeks v. Freeport Pancake House,

796 F. 3d 199

(2d Cir. 2015) by August 15, 2025. Since that order, the parties have worked diligently to finalize the terms of their settlement, but need a brief amount of additional time for the parties to execute their settlement papers. The parties are expected to execute their settlement papers in the coming days. Additionally, Plaintiff's counsel recently was out of the office for a vacation and Defendants’ counsel is currently traveling, partially leading to the parties’ need for this extension. Accordingly, Plaintiff requests, with Defendants’ consent, that the time for the parties to submit their settlement materials be extended from August 15, 2025 until August 29, 2025. Plaintiff sought three prior extensions of this deadline, which were granted. We thank the Court for its kind consideration of this request. Respectfully submitted, Fad Serbterr tt DAVID D. BARNHORN, ESQ. C: All Counsel of Record

Reference

Status
Unknown