Marcus Pizzaro v. Veritas Property Management LLC, et al.
Marcus Pizzaro v. Veritas Property Management LLC, et al.
Trial Court Opinion
ROMERO Peter A. Romero, □□□ David D. Barnhorn, E: LAW GROUP PLLC “mee LABOR AND EMPLOYMENT LITIGATION MEMO ENDORSED Matthew J. Farnworth, Esc
HON. VALERIE FIGUEREDO October 20, 2025 UNIED STATES te . Dated: 10/23/2025 Via ECF ou: The extension is GRANTED. The Hon. Valerie Figueredo . . . Clerk of Court is respectfully directed United States Magistrate Judge to terminate th tion at ECE No. 24 United States District Court © Fermaimate He MOuon a Oo. 2 Southern District of New York 500 Pearl Street New York, New York 10007 Re: = Marcus Pizzaro v. Veritas Property Management LLC, et al. Docket No. 24-cv-10050-RA-VF Dear Judge Figueredo: This firm represents Plaintiff Marcus Pizarro in this matter against Defendants Veritas Property Management LLC, 2023 Belmont Avenue Housing Development Fund Corporation d/b/a 2023 Belmont Avenue HDFC and James Maistre (collectively as “Defendants”) for alleged violations of the Fair Labor Standards Act, New York Labor Law and New York common law. The Court entered an order that terminated all pretrial deadlines, and directed that a status report or a motion for approval of the parties’ settlement, pursuant to Cheeks v. Freeport Pancake House, Inc.,
796 F.3d 199(2d Cir. 2015), with respect to Plaintiff's FLSA claims, be filed by October 20, 2025. The parties have negotiated and finalized the terms of their formal settlement agreement. The parties are in the process of executing their formal settlement and preparing their motion for approval. Due to Plaintiffs counsel’s extremely active litigation schedule, including being engaged in motion practice for several substantive motions with overlapping deadlines, and the parties’ need to confer regarding their motion for approval, the parties will require three to four weeks to submit their settlement materials. Accordingly, Plaintiff requests, on behalf of all parties, that he be permitted to file a further status report or motion for approval on or before November 20, 2025. The parties sought one prior extension of this deadline, which was granted. Plaintiff thanks the Court for its time and attention to this matter. Respectfully submitted, /S/ David D. Barnhorn, Esq. DAVID D. BARNHORN, ESQ. C: All Counsel of Record
Reference
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