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  • Ellen Brennan v. Nicholas Morrissey M.D., The New York And Presbyterian Hospital, New York-Presbyterian Healthcare System, Inc. Medical Malpractice document preview
  • Ellen Brennan v. Nicholas Morrissey M.D., The New York And Presbyterian Hospital, New York-Presbyterian Healthcare System, Inc. Medical Malpractice document preview
						
                                

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FILED: NEW YORK COUNTY CLERK 08/02/2019 04:34 PM INDEX NO. 805402/2014 NYSCEF DOC. NO. 30 RECEIVED NYSCEF: 08/02/2019 SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK ELLEN BRENNAN, Deceased, by JAMES E. TITUS, Executor of the Estate of ELLEN Index No. 805402/2014 BRENNAN, Plaintiff, STIPULATION -against- (Motion Seq. 001) NICHOLAS MORRISSEY, M.D., THE NEW YORK AND PRESBYTERIAN HOSPITAL AND NEW YORK- PRESBYTERIAN HEALTHCARE SYSTEM, INC., Defendants. WHEREAS, on July 9, 2019, Defendants NICHOLAS MORRISSEY, THE NEW YORK AND PRESBYTERIAN HOSPITAL AND NEW YORK- M.D., PRESBYTERIAN HEALTHCARE SYSTEM, INC. (collectively, "Defendants") filed a Motion to inter alia Vacate the Note of Issue and Certificate of Readiness, Permit Post-Note of Issue Discovery, and Compel Plaintiff to Respond to Certain Discovery (Motion Seq. 001) (the "Motion"), returnable August 6, 2019; IT IS HEREBY STIPULATED AND AGREED, by and between counsel for Plaintiff and counsel for Defendants, as follows: 1. The original return date of the Motion is hereby adjourned and the return date is extended from August 6, 2019 to September 17, 2019; and 2. Plaintiff's time to serve his opposition in response to the Motion is extended to September 5, 2019; and 1 of 2 FILED: NEW YORK COUNTY CLERK 08/02/2019 04:34 PM INDEX NO. 805402/2014 NYSCEF DOC. NO. 30 RECEIVED NYSCEF: 08/02/2019 Defendants' 3. reply in further support of their will be due on September 12, 2019; and 4. This stipulation may be executed in counterparts, facsimile or .pdf signatures shall be deemed to be orig signatures and shall have the same force and effect a signatures. ABBOTT BUSHLOW & SCHECHNER, LLP HEIDELL, PITTONI, BACH, LLP Jafthew A. Kaplan, Esq. John 'Sullivan, 0‰ Es 70-11 Fresh Pond Road 81 Main Street Ridgewood, New York 11385 White Plains, New (718) 366-0464 (914) 559-3100 Attorneys for Plaintiff Attorneys for Defenda Dated: Ridgewood, New York Dated: White Plains, August 2, 2019 August 2, IT IS SO ORDERED: DATED: HON. 2 of 2