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P.I.: Other | New York Southern
Order
ORDER: As discussed during the telephonic status conference (the "Conference") held today, September 18, 2026, the Court ORDERS as follows: 1. Plaintiff shall promptly provide Defendants with copies of the productions received from non-par ties Brown Harris Stevens and Saunders. 2. The parties may order a copy of the transcript of the Conference using the annexed form. 3. By September 25, 2026, Defendant Studiolab, LLC shall inform the remaining parties whether it is willing to partici pate in private mediation. 4. By September 28, 2026 at 5:00 p.m. ET, the parties are to file a joint letter, not to exceed 750 words, addressing any remaining discovery disputes, the parties' positions as to Plaintiff's request that Defenda nt Ruth Miller search for additional documents concerning the alleged 2021 rental of the premises where Plaintiff was injured (Dkt. No. 22 P 12), and whether Defendants require any further social media discovery from Plaintiff. 5. A telephonic disc overy status conference is scheduled for September 29, 2026 at 2:00 p.m. ET on the Court's conference line. The parties are directed to call (855) 244-8681; access code: 2308 226 4654, at the scheduled time. SO ORDERED. (Signed by Magistrate Judge Sarah L. Cave on 9/18/2026) (Telephone Conference set for 9/29/2026 at 02:00 PM before Magistrate Judge Sarah L. Cave.) (ar)
Motor Vehicle | New York Eastern
Reply in Support
REPLY in Support re 36 Joint MOTION for Summary Judgment filed by Amazon Logistics, Inc.. (Attachments: # 1 Exhibit Q - Excerpts of Dr. Ivancic Deposition Transcript, # 2 Exhibit R - Dr. Wiener's Declaration, # 3 Exhibit S - Dr. Merkler Declaration, # 4 Exhibit T - Mr. Scalia's Declaration, # 5 Exhibit U - Dr. McRae's Declaration, # 6 Exhibit V- Dr. Coyne's Declaration, # 7 Exhibit W - Excerpts of Dr. Pearl's Deposition Transcript, # 8 Exhibit Additional portions of Transcript of Defendant Chavezs Deposition Testimony on March 23, 2023, # 9 Rule 56.1 Statement Reply to Plaintiff's Rule 56.1 Counter SOMF, # 10 Memorandum in Support Reply MOL in Further Support of Defendants' Joint SJM (McEachin)) (Wodarski, Joseph)
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