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  • E.E. Cruz & Company, Inc. v. Starr Surplus Lines Insurance CompanyCommercial - Insurance document preview
  • E.E. Cruz & Company, Inc. v. Starr Surplus Lines Insurance CompanyCommercial - Insurance document preview
  • E.E. Cruz & Company, Inc. v. Starr Surplus Lines Insurance CompanyCommercial - Insurance document preview
  • E.E. Cruz & Company, Inc. v. Starr Surplus Lines Insurance CompanyCommercial - Insurance document preview
						
                                

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FILED: NEW YORK COUNTY CLERK 10/28/2022 05:57 PM INDEX NO. 652321/2020 NYSCEF DOC. NO. 104 RECEIVED NYSCEF: 10/28/2022 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK -----------------------------------------------------------------X Index No.: 652321/2020 E.E. CRUZ & COMPANY, INC., Hon. Nancy Bannon Plaintiff, STIPULATION TO SET -against- RETURN DATE STARR SURPLUS LINES INSURANCE COMPANY, Defendant. ------------------------------------------------------------------X IT IS HEREBY STIPULATED AND AGREED by and between the undersigned counsel for Plaintiff, E.E. CRUZ & COMPANY, INC. and Defendant, STARR SURPLUS LINES INSURANCE COMPANY, that the return date for Defendant’s Motion for Summary Judgment filed on October 28, 2022 in the above captioned matter is Monday, December 19, 2022. IT IS FURTHER STIPULATED AND AGREED by and between the undersigned counsel that the date by which Plaintiff E.E. CRUZ & COMPANY, INC. shall file its opposition to Defendant’s Motion for Summary Judgment is Wednesday, November 30, 2022. IT IS FURTHER STIPULATED AND AGREED by and between the undersigned counsel that the date by which Defendant STARR SURPLUS LINES INSURANCE COMPANY shall file its reply or responding affidavits is Friday, December 16, 2022. IT IS FURTHER STIPULATED AND AGREED that each party consents that this Stipulation may be executed and delivered (including by facsimile transmission or portable document format (PDF)) in one or more counterparts, and by the different parties hereto in separate counterparts, each of which when executed shall be deemed to be an original but all of which taken together shall constitute one and the same agreement. 1 of 2 FILED: NEW YORK COUNTY CLERK 10/28/2022 05:57 PM INDEX NO. 652321/2020 NYSCEF DOC. NO. 104 RECEIVED NYSCEF: 10/28/2022 IT IS FURTHER STIPULATED and agreed that this Stipulation may be filed without further notice with the Clerk of the Court. Dated: October 28, 2022 FORAN GLENNON SAXE DOERNBERGER & VITA, P.C. By: By: /s/ Stacy Manobianca Charles J. Rocco Stacy M. Manobianca 40 Wall Street, 54th Floor 35 Nutmeg Drive, Ste. 140 New York, NY 10005 Trumbull, CT 06611 T: (212) 257-7101 T: (203) 287-2100 crocco@fgppr.com F: (203) 287-8847 Attorney for Defendant smanobianca@sdvlaw.com Starr Surplus Lines Insurance Company Attorney for Plaintiff E.E. Cruz & Company, Inc. 2 of 2