On January 01, 2018 a
Letter,Correspondence
was filed
involving a dispute between
Beazley Insurance Company, Inc,
and
Take-Two Interactive Software, Inc.,
for Commercial Division
in the District Court of New York County.
Preview
KELLEY D RY E & W AR R E N LLP
A LIMIT ED LIABILIT Y PART NER SH IP
101 PARK AVENUE
, FACSIMILE
W A S H I N G T O N , D C
NEW YORK, NY 10178
(212)808-7897
LOS A N G E L E S ,C A w w w . k e ll e y d r y e . c o m
CHICAGO, I L (212)808-7800
H O U S T O N , T X
P A R S I P P A N Y , N J MICHAEL C . LYNCH
S T A M F O R D , C T DIRECT L I N E : ( 2 1 2 ) 8 0 8 - 5 0 8 2
BRUSSELS, BELGIUM
EMAIL: m l y n c h @ k e ll e y d r y e . c o m
AFFILIATE OFFI CE
M U M B A I, I NDIA
March 21, 2019
VIA NYSCEF
Hon. Barry R. Ostrager
c/o Rose Ann Magaldi, Principal Law Clerk
Supreme Court of the State of New York
New York County
60 Centre Street, Room 232
New York, NY 10007
Re: Beazley Insurance Company, Inc. v. Take-Two Interactive Software, Inc., Index
No. 650532/2018
Dear Justice Ostrager:
Defendant Take-Two Interactive Software, Inc. (“Take-Two”) hereby requests that the
Court amend its March 27, 2018 scheduling order (“Scheduling Order”) (NYSCEF Doc. No. 10)
to extend the remaining deadlines in the Scheduling Order by sixty days. Counsel for Plaintiff
Beazley Insurance Co. (“Beazley”) has advised counsel for Take-Two that Beazley does not join
in Take-Two’s request.
Current Deadline Proposed Deadline
Last date to complete depositions Apr. 29, 2019 Jun. 28, 2019
End date for expert discovery Jun. 28, 2019 Aug. 27, 2019
End date for all disclosure Jun. 28, 2019 Aug. 27, 2019
Note of Issue Jul. 31, 2019 Sept. 30, 2019
Last date for dispositive motions Sept. 29, 2019 Nov. 29, 2019
Take-Two seeks this amendment at the suggestion of Ms. Rose Ann Magaldi, Principal
Law Clerk to Justice Barry R. Ostrager, who advised the Parties, on a March 8, 2019 conference
call, to seek an extension in order to allow sufficient time to complete deposition discovery. The
extension is also warranted in light of the potential for discovery motion practice. On the March
8, 2019 conference call, the Parties and Ms. Magaldi discussed a pending discovery dispute
between the Parties. Although the Parties subsequently exchanged letters in an effort to resolve
KELLEY DRYE & WARREN LLP
Hon. Barry R. Ostrager
March 21, 2019
Page Two
the dispute, it is unlikely that the Parties will resolve their dispute before the next compliance
conference on April 2, 2019.
Very truly yours,
/s/ Michael C. Lynch
Michael C. Lynch
of KELLEY DRYE & WARREN LLP
Document Filed Date
March 21, 2019
Case Filing Date
January 01, 2018
Category
Commercial Division
For full print and download access, please subscribe at https://www.trellis.law/.