Initial Conference Adjournment Request
- Date
- 2025-04-28
Summary
A letter request filed April 28, 2025 by counsel for plaintiff William Kolbert in Kolbert v. Benworth Capital Partners, LLC et al., Case No. 1:25-cv-00117-FB-CHK, addressed to United States Magistrate Judge Vera M. Scanlon of the Eastern District of New York. It is Document 30. On consent of all parties, the plaintiff asks to adjourn the in-person initial conference scheduled for May 7, 2025 at 11:30 a.m. and the proposed discovery plan due April 28, 2025. The letter states that at an April 25, 2025 pre-motion conference, Judge Frederick Block gave the plaintiff three weeks to file a final amended complaint and stayed the case until then, and asks that all scheduled dates be extended until after the stay is lifted. It is signed by Serge F. Petroff.
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Full text
Case 1:25-cv-00117-FB-CHK Document 30 Filed 04/28/25 Page 1 of 1 PageID #: 526
Serge F. Petroff
*Steven Amshen
James Tierney
Jill Schaefer
Maria Garber
(*admitted in New York & New Jersey)
April 28, 2025
VIA ECF
Hon. Vera M. Scanlon
United States Magistrate Judge
Eastern District of New York
225 Cadman Plaza East
Brooklyn, New York, 11201
Re: Kolbert v. Benworth Capital Partners, LLC et al.,
Case No. 1:2025-cv-00117-FB-VMS
Dear Judge Scanlon:
This office represents Plaintiff William Kolbert in this matter. Plaintiff, on consent of all
the parties, is respectfully requesting an adjournment of the in-person initial conference currently
scheduled for May 7, 2025 at 11:30 a.m., as well as the proposed discovery plan, which is currently
due on April 28, 2025.
On April 25, 2025, a pre-motion conference was held before Judge Frederick Block, during
which the Plaintiff was granted three (3) weeks to serve and file a final amended complaint.
Contemporaneously, the case was “stayed until the plaintiff serves and files his final amended
complaint.”
Accordingly, it is respectfully requested that all currently scheduled dates be extended until
after the stay is lifted.
I thank the Court for its courtesy in considering this request.
Respectfully submitted,
/s/ Serge F. Petroff
Serge F. Petroff, Esq.
cc: All counsel via ECF
1795 Coney Island Avenue, Third Floor, Brooklyn, New York 11230
Phone: (718) 336-4200 | Fax: (718) 336-4242
File and source
- File
- gov.uscourts.nyed.525917.30.0.pdf
- Size
- 166,505 bytes
- SHA-256
- 12c06e055a3cf0a707ffd8e42db7acee5e70180877e40dcfcb666492c5cc6b46
- Original
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