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  • Mishael Dickman v. Yeshiva Of South Shore Torts - Child Victims Act document preview
  • Mishael Dickman v. Yeshiva Of South Shore Torts - Child Victims Act document preview
  • Mishael Dickman v. Yeshiva Of South Shore Torts - Child Victims Act document preview
  • Mishael Dickman v. Yeshiva Of South Shore Torts - Child Victims Act document preview
						
                                

Preview

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NASSAU ____________________.__________________. x MISHAEL DICKMAN, Plaintiff, Index No.: 900082/2020 -against- DISCOVERY STIPULATION (REQUEST TO SO ORDER) YESHIVA OF SOUTH SHORE, Defendant. ___________________________________. X IT IS HEREBY STIPULATED AND AGREED, by and between the undersigned counsel for the parties in this action, as follows: " Continued deposition of Plaintiff to be conducted on or before March 15, 2023; " Deposition of Defendant to be conducted on or before March 29, 2023; " depositions to be completed before March 29, 2023, except that the deposition Non-party of Plaintiff's parents, whom need to be subpoenaed in Israel, may be conducted after the Note of Issue is filed; " Post-deposition demands to be served within 5 days of completion of discovery depositions; responses to be served within 10 days of service of demands. " The Note of Issue shall be filed on or before April 17, 2023. " IME of Plaintiff to be held within 90 days after a decision on any summary judgment motion or 90 days after the filing of the Note of Issue, whichever is later; report to be exchanged within 45 days after examination. IT IS FURTHER STIPULATED AND AGREED that this stipulation may be executed in counterparts and that signatures sent or received by electronic means shall be deemed the same as an original signature and acceptable for filing with the Court. Dated: New York, New York Dated: New York, New York Februaryc½& 2023 February 21, 2023 HACH ROSE SCHIRRIPA & CHEVERIE, LLP SEYFARTH SHAW LLP /s/ Karen Y Bitar Hillary M. Nappi, Esq Gershon Akerman, Esq. Attorneys for Plaintiff Karen Y. Bitar, Esq. 10* I12 Madison Avenue, Floor Attorneys for Defendant New New York 8* York, 10016 620 Avenue, Floor 32 Telephone: (212) 213-8311 New York, New York 10018 hnappi@hrsclaw.com Telephone: (212) 218.5500 gakerman@seyfarth.com kbitar@seyfarth.com SO ORDERED this __ day of , 2023 Hon. Leonard Steinman, J.S.C 2