arrow left
arrow right
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
  • xxxxxx xxxxxx aka xxxxxxxxxx xxxxxx, individually and derivatively on behalf of ROCKVILLE CORP. v. xxxxxxx xxxxx individually and as the executor of the Estate of xxxx xxxxx, and as co-trustee of the disclaimer Trust under Article
						
                                

Preview

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NASSAU COMMERCIAL DIVISION: PART 7 Hon. Sharon M.J. Gianelli Plaintiff(s)/Petitioner(s), Index No: -against- DISCOVERY STATUS FORM Defendant(s)/Respondent(s). All Parties must meet and confer with respect to all outstanding discovery issues, jointly complete this form and return same to: judgegianelliremote@nycourts.gov , at least 48 hours prior to any compliance conference. The failure to meet and confer, or return this form in a timely fashion, will result in an adjournment of your conference. TODAY’S DATE: RJI DATE: PC DATE: NOI DATE: Date(s) of Prior Extension(s) by Stipulation or Order: APPEARANCES: Counsel for Plaintiff(s)/Petitioner(s) Counsel for Defendant(s)/Respondent(s) ARE THERE ANY OPEN MOTIONS OR APPEALS? Please indicate Motion Sequence number. Seq. No. Relief Requested Seq. No. Relief Requested ARE THERE ANY RELATED MATTERS? Please indicate Index number and Judge assigned. Index. No. Judge Assigned Index No. Judge Assigned Status of Discovery: Please check all that apply O Paper Discovery Complete O Depositions Complete O Expert Witness Disclosure Complete O Note of Issue Filed Open Discovery Issues: Please check if applicable O Are there any discovery disputes? BRIEF SUMMARY OF DISCOVERY DEMANDED BRIEF SUMMARY OF OBJECTIONS TO PRODUCTION: Extensions of time to complete Discovery: Please check if applicable O Have the parties agreed to extensions of time to complete Discovery? Please indicate the proposed dates for the completion of discovery on the attached Extension of Discovery Deadlines Stipulation and Order. Settlement Efforts/ADR: Please check if applicable O Have the parties discussed settlement of this matter? If yes, when was the last time settlement of this matter was discussed? Do the parties wish to have a settlement conference with the Judge in this matter? Do the parties wish to participate in the Commercial Division ADR program? Are the parties requesting an adjournment of this matter to attempt settlement through a private mediator/arbitrator? SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NASSAU COMMERCIAL DIVISION: PART 7 Hon. Sharon M.J. Gianelli Plaintiff(s)/Petitioner(s), Index No: -against- Extension of Discovery Deadlines Stipulation and Order Defendant(s)/Respondent(s). The parties hereby stipulate and agree that the deadlines for discovery be adjusted as follows: 1 Responses to Plaintiffs demands dated —____ shall be exchanged on or before Responses to Defendant’s demands dated —__ shall be exchanged on or before Plaintiff's deposition shall be conducted on or before First Defendant’s deposition shall be conducted on or before Second Defendant’s deposition shall be conducted on or before The End date for fact discovery shall be extended from to The End date for all discovery shall be extended from to The Note of Issue date shall be extended to , which shall represent 60 days after the end date for all discovery. The filing date for dispositive motions shall be extended to , which shall represent 60 days after the Note of Issue date. 10. The parties acknowledge that Discovery must be updated and supplemented as new information become available. 11. The dates set forth herein may not be adjourned except with the approval of the Court. Attorney for Plaintiff(s) (Signature) Attorney for Defendant(s) (Signature) Attorney for Defendant(s) (Signature) Attorney for Defendant(s) (Signature) For court use only: The parties shall appear before the Court on at , telephonically at 425-436-6391 PIN 4394615, for a Compliance Conference with respect to this matter. DATE: SO ORDERED: Hon. Sharon M.J. Gianelli, J.S.C.