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  • Rosenbaum, Rosenfeld & Sonnenblick, Llp, R&R Properties Llc, Computerized Diagnostic Scanning Associates, P.C. v. Excalibur Group Na, Llc, A Superior Service And Repair Co. Inc., Home Systems Engineering, Inc., Philips Healthcare, Philips Medical Systems North America Company, Philips Electronics North America Corporation, Philips Medical Systems North America, Inc., Philips Healthcare Informatics, Inc., Estate Of Merle H. Eisenstein Contract (Non-Commercial) document preview
						
                                

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80-02 Kew Gardens Road Kew Gardens, NY 11415 Telephone: 212.981.8440 PHILLIP M. MANELA Facsimile: 888.442.0284 Direct Line: 212-981-8448 Email: pmanela@lipsiuslaw.com www.lipsiuslaw.com February 29, 2016 VIA ECF Honorable Michael L. Katz New York County Supreme Court 111 Centre Street, Room 536 New York, New York 10013 Re: ROSENBAUM, ROSENFELD , et al. vs. EXCALIBUR GROUP et al. Index No.: 150083/2014 Dear Justice Katz: This firm represents plaintiffs in the captioned matter. We write to request an extension of the discovery schedule in this case, and an adjournment of the status conference scheduled for March 23, 2016. Counsel for defendants and the insurers (other than Hartford who could not be reached) concur with this request. The existing discovery schedule, set forth in the 10/23/15 Compliance Conference Order (ECF Doc. No. 91, copy submitted herewith), provides for depositions to be concluded by February 29, 2016, and the Note of Issue due March 24, 2016. Following that Order, in December, all parties in this action and the related subrogation actions attended a settlement conference as ordered by the judges in the subrogation actions. Settlement negotiations ensued, resulting in a settlement with Travelers Indemnity Company. That partial settlement was consummated last week, with the 2/25/16 filing of a partial discontinuance with prejudice (copy submitted herewith). With the settlement discussions concluded, the parties now seek to conduct depositions, and are in process of ascertaining available dates for the numerous deponents and counsel. Accordingly, we respectfully request that the Court reschedule the status conference to a date in early April. We further request that the discovery schedule, and the Note of Issue date, be extended to dates to be set at such conference. Respectfully Submitted, LIPSIUS-BENHAIM LAW, LLP Phillip M. Manela cc: All Counsel via ECF