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  • Vincent Settecasi, xxxxxxxx xxxx v. Ark Restaurants Corp., Ark Bryant Park, Llc, Ark Bryant Park Southwest, Llc, Michael Weinstein Other Matters - Contract - Other document preview
  • Vincent Settecasi, xxxxxxxx xxxx v. Ark Restaurants Corp., Ark Bryant Park, Llc, Ark Bryant Park Southwest, Llc, Michael Weinstein Other Matters - Contract - Other document preview
  • Vincent Settecasi, xxxxxxxx xxxx v. Ark Restaurants Corp., Ark Bryant Park, Llc, Ark Bryant Park Southwest, Llc, Michael Weinstein Other Matters - Contract - Other document preview
  • Vincent Settecasi, xxxxxxxx xxxx v. Ark Restaurants Corp., Ark Bryant Park, Llc, Ark Bryant Park Southwest, Llc, Michael Weinstein Other Matters - Contract - Other document preview
						
                                

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FILED: NEW YORK COUNTY CLERK 03/25/2019 05:35 PM INDEX NO. 154038/2018 NYSCEF DOC. NO. 27 RECEIVED NYSCEF: 03/25/2019 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK VINCENT SETTECASI and xxxxxxxx xxxx, individually and on behalf of others similarly situated, Index No.: 154038/2018 Plaintiffs, - against - STIPULATION TO EXTEND PLAINTIFFS’ TIME TO ARK RESTAURANTS CORP.; ARK BRYANT PARK, RESPOND TO LLC; ARK BRYANT PARK SOUTHWEST, LLC; DEFENDANTS’ MOTION TO MICHAEL WEINSTEIN; ROBERT J. STEWART; and DISMISS THE CLASS any other related entities, ACTION COMPLAINT Defendants. WHEREAS on or around February 26, 2019, Defendants, by and through their counsel, filed a motion to dismiss Plaintiffs’ Class Action Complaint pursuant to New York Civil Practice Law and Rules 3211 (a)(7) and (e), (Motion Seq. No. 1) (the “Motion”). WHEREAS, the Motion is currently returnable on April 5, 2019; WHEREAS, Plaintiffs’ Opposition to the Motion is currently due on or before March 22, and Defendants’ Reply in Further Support of the Motion is currently due on or before April 4, 2019; IT IS HEREBY STIPULATED AND AGREED by and between the below named attorneys as follows: 1. The return date for the Motion shall be adjourned to April 26, 2019; 2. Plaintiffs’ Opposition to the Motion shall be extended up to and including April 4, 2019; 3. Defendants’ Reply in further support of the Motion shall be extended up to and including April 25, 2019, and 1 of 2 FILED: NEW YORK COUNTY CLERK 03/25/2019 05:35 PM INDEX NO. 154038/2018 NYSCEF DOC. NO. 27 RECEIVED NYSCEF: 03/25/2019 4. Any copy, reproduction, PDF, fax, email or otherwise will be deemed an original and this stipulation can be filed with the Court upon full execunen. LEEDS BROWN LAW, P.C. McGUIREWooDs LLP By: By: Michael A. Tompkins, Esq. Philip A. Goldstein, Esq. One Old Country Road, Suite 347 1251 Avenue of the Americas Carle Place, New York, 11514 20th Floor Tel: (516) 873-9550 New York, NY 10020-1104 Tel: (212) 548-2167 Attorneys for Plair;this and Attorneys for Defe;;da;;:s Putative Class March 25, Dated: 2019 Dated: March 25, 2019 2 of 2