Preview
FILED: KINGS COUNTY CLERK 10/28/2020 02:59 PM INDEX NO. 510844/2016
NYSCEF DOC. NO. 632 RECEIVED NYSCEF: 10/28/2020
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF KINGS
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CHERRY HILL GOURMET, INC., : Index No. 510844/16
Plaintiff, : STIPULATION OF
: ADJOURNMENT
-against- :
: Motion Seq. No. 11, 12 and 13.
LUNDY'S MANAGEMENT CORP., :
Defendant. :
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LUNDY'S MANAGEMENT CORP., :
Defendant and :
Third-Party Plaintiff, :
-against- :
SHEEPSHEAD RESTAURANT ASSOCIATES, INC., :
Third-Party Defendant. :
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IT IS HEREBY STIPULATED AND AGREED, by and between the parties, by
their respective attorneys, that:
1. The third-party defendant Sheepshead Restaurant Associates, Inc 's
("Sheepshead") motion for summary judgment (motion seq. no. 011), the cross motion filed by
defendant/third party plaintiff Lundy's Management Corp (motion no 12), and the cross motion
filed by and Cherry Hill Gourmet, Inc. ("Cherry Hill") (Motion no. 13), all three of which are
currently returnable on November 4, 20 9, are all hereby adjourned on consent to November 18,
2_020 at 10:00 a.m. or at any subsequent date and time set by the Court.
2. Sheepshead shall serve its opposition papers to Lundy's and Hill's cross-
Cherry
motions, and shall serve its reply to Lundy's and Cheny Hill's opposition, if any, by efiling on or
before November 5, 2020.
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FILED: KINGS COUNTY CLERK 10/28/2020 02:59 PM INDEX NO. 510844/2016
NYSCEF DOC. NO. 632 RECEIVED NYSCEF: 10/28/2020
3. Lundy's and Cherry shall serve their replies (by e filing) in further support of their
respective cross-motions, if any, on or before November 13, 2020.
4. The deadlines described herein are deemed final ones; the parties shall not seek
additional time beyond that described above or seek to adjourn (1) deadlines to serve the papers
described above or (2) motion dates.
5. This stipulation may be executed in counterparts, which shall have the same force
and effect as a single, originally-executed document. For the purposes of this stipulation, pdf,
electronic, email, facsimile, or other copies of signatures shall be deemed originals for all purposes.
Dated: New York, New York
October 28, 2020
HAGAN, COURY & ASSOCIATES ROSENBERG & ESTIS, P.C.
Attorneys for Third-Party D ndant Attorneys for Defendant/third party plaintiff
By: By:
Paul Golden, Esq. De an Kezunovie, Esq.
William J. Coury, Esq. 733 Third Avenue
908 Fourth Avenue New York, New York 10017
Brooklyn, New York 11232 (917) 275-5529
(718) 788-5052
TAMIR LAW GROUP P.C.
Attorneys for Plaintiff
By:
Zaki T ir, Esq.
225 Broa way, 39th Floor
New York, New York 10007
(212) 444-9970
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