District Court, S.D. New York, 2025

Zelouf International Corp. v. Belk, Inc., et al.

Zelouf International Corp. v. Belk, Inc., et al.
District Court, S.D. New York · Decided November 26, 2025
Zelouf International Corp. v. Belk, Inc., et al.

Trial Court Opinion

1415 W. 22" Street, Tower Floor USDC SDNY Oak Brook, Illinois 60523 DOCUMENT ee a Application GRANTED. The settlement □□□□□□□□□□ currently scheduled for December 3, 2025 □□ □ □□□□□ DATE FILED: 11/26/25 ADJOURNED sine die. The parties must submit a joint statu letter no later than December 8, 2025, proposing ne\ VIA ECF dates, preferably in December, for the settlemer — conference. The parties may contact the Courtroom Deput eon. Parana woes 4 at 212-805-4880 to determine the Court's availability. nited States Magistrate Judge United States District Court SO ORDERED. : Daniel Patrick Moynihan Courthouse □□ Pearl Street, Room 740 November 26,2025 _ RESIN New York, NY 10007 Barbara Moses, U.S.M.J.

Re: Zelouf International Corp. v. Belk, Inc., et al., Case No. 25-CV-06797 (JSR) Dear Judge Moses: We are counsel to Defendant ZG Apparel Group LLC (“ZG”) in the above-referenced matter. We write to respectfully request that the Court adjourn the settlement conference currently scheduled for December 3, 2025, at 2:15 p.m. Counsel for Plaintiff Zelouf International Corp. does not object to this request.

ZG just discovered it may have insurance coverage for this matter, but is still evaluating its coverage and is not sure whether its carrier will need to attend the scheduled settlement conference. The parties therefore respectfully request that the Court adjourn the December 3*¢ conference (and likewise postpone the November 26" deadline to submit the required pre- settlement conference letters) in order to ensure that all necessary parties are able to be in attendance.

We recognize Your Honor’s rule that in seeking an adjournment of a settlement conference, parties must provide two alternative dates that work for them all. In this case, however, the parties are not yet able to do so, as ZG has not determined whether its carrier will need to be in attendance.

The parties therefore respectfully request that the Court adjourn the conference for approximately one month, and propose that the parties will contact Your Honor’s Chambers by December 8" for available dates.

We appreciate the Court’s consideration of this request.

Respectfully submitted, (s/ Jon Purow Jon Purow

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