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  • Cresco Labs New York, Llc, a New York limited liability company, Cresco Labs Llc, An Illinois Limited Liability Company v. Fiorello Pharmaceuticals, Inc., a New York corporation, Eric Sirota, Susan Yoss, John Does 1 - 10 Commercial Division document preview
  • Cresco Labs New York, Llc, a New York limited liability company, Cresco Labs Llc, An Illinois Limited Liability Company v. Fiorello Pharmaceuticals, Inc., a New York corporation, Eric Sirota, Susan Yoss, John Does 1 - 10 Commercial Division document preview
						
                                

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SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ------------------------------------------------------------------X CRESCO LABS, NEW YORK, LLC, a New York limited liability company, and CRESCO LABS, LLC, Index No.: 652343/2018 an Illinois limited liability company, Hon. Andrew Borrok Plaintiffs, -against- STIPULATION OF ADJOURNMENT FIORELLO PHARMACEUTICALS, INC., a New York corporation, ERIC SIROTA, an individual, SUSAN YOSS, an individual, and JOHN DOES 1-10, Defendants. ------------------------------------------------------------------X IT IS HEREBY STIPULATED AND AGREED, by and between the undersigned attorneys for the parties appearing in the above-captioned matter, AS FOLLOWS: 1. Defendants FIORELLO PHARMACEUTICALS, INC., ERIC SIROTA, and SUSAN YOSS (the “Defendants”), will file their papers in support of their motion for a protective order staying discovery in the above-captioned action (the “Motion”) on January 11, 2019. 2. Plaintiff CRESCO LABS, NEW YORK, LLC (the “Plaintiff”) will file its papers in opposition to the Motion, if any, on January 28, 2019. 3. Defendants will file their reply papers in further support of the Motion, if any, on February 11, 2019. 4. The Motion will be returnable on February 12, 2019. 5. The January 10, 2019 status conference in this above-captioned matter is adjourned to February 13, 2019 or to the earliest date thereafter as the Court may schedule. 6. All discovery is stayed pending the Court’s decision on the Motion. 7. For the purposes of this Stipulation, electronic or facsimile signatures shall operate as originals and this stipulation may be executed in one or more counterparts. JENNER & BLOCK LLP IZOWER FELDMAN LLP Attorneys for Plaintiffs Attorneys for Defendants By: By: /s/ Ronald D. Lefton, Esq. Stephen L. Ascher, Esq. Ronald D. Lefton, Esq. 919 Third Avenue 85 Broad Street, 18th Floor New York, NY 10022 New York, New York 10004 (212) 891-1670 (646) 688-3232 SAscher@Jenner.com leftonr@izowerfeldman.com Dated: January 2, 2019 Dated: January 2, 2019 IT IS SO ORDERED. Dated: HONORABLE ANDREW BORROK