📄 Extracted Text (283 words)
Case 1:15-cv-07433-LAP Document 719 Filed 03/15/17 Page 1 of 1
Stan Pottinger
E-mail : stanpottinger(a),aol.com
March 13, 2017
VIA EMAIL
Hon. Robert W. Sweet
United States DistrictJudge
United States District Court
Daniel Patrick Moynihan Courthouse
Southern District of New York
500 Pearl Street, Room 1940 FILED \
New York, New York 10007-1312
Re: Giuffre v. Maxwell,
Case No.: 15-cv-07433-R,VS
Dear Judge Sweet:
This is a letter motion to request a one-week continuance of the hearing on Defendant's
Motion to Compel Non-Party Witness to Produce Documents and Respond to Deposition
Questions (Doc. 655) and Motion for Protective Order for Non-Party Witness (Doc. 640) until
March 23, 2017. The hearing currently is scheduled for this Thursday, March 16, 2017. See
Minute Entry from proceedings held on March 9, 2017.
Non-Party Witness contends that the Motion for Protective Order (Doc. 640) has not yet
been granted or denied and requests that it be heard on March 23, 2017 at the same time as the
Defendant' s Motion to Compel (Doc. 655). While at the hearing on March 9, 201 7, the Court
addressed and resolved the ore tenus motion requesting the redaction of the non-party's witness
name, that did not address the substance of the Non-Party's Motion for Protective Order which
seeks relief from requiring the non-party to sit for a second deposition or produce additional
documents . See (Doc : 640); and Exhibit A, March 9, 2017 Court's Hearing Transcript.
Accordingly, Non-Party requests that this Court schedule the hearing on her Motion for
Protective Order to occur at the same time as Defendant's Motion to Compel (Doc. 655).
~n ~ Sincerely,
~r
Isl J. Stanlev Pottinger
J. Stanley Pottinger
Counsel for Non-Party Witness
?75l>Jr-
l(F-;7
ℹ️ Document Details
SHA-256
e826389e708d10706ffd799e9b4f44290784d2a286065bd69fb97531daf44ede
Bates Number
gov.uscourts.nysd.447706.719.0
Dataset
giuffre-maxwell
Document Type
document
Pages
1
Comments 0