Continental Casualty Company v. Angelet-Frau et alMOTION to Continue Settlement ConferenceD.P.R.February 15, 2019IN THE UNITED STATED DISTRICT COURT FOR THE DISTRICT OF PUERTO RICO CONTINENTAL CASUALTY COMPANY Plaintiff, v. LUIS M. ANGELET-FRAU, ESQUIRE; JUAN VILELLA-JANEIRO, ESQUIRE; VILELLA JANEIRO & JENKS, P.S.C.; ABC INSURANCE COMPANY; XYZ INSURANCE COMPANY; and DEFENDANTS A AND B. Defendants. CIVIL NO. 16-cv-2656 (JAG) DAMAGES, BREACH OF CONTRACT, BREACH OF FIDUCIARY DUTY, CONTRIBUTION AND INDEMNITY JURY TRIAL DEMANDED MOTION REQUESTING RESCHEDULING OF SETTLEMENT CONFERENCE TO THE HONORABLE COURT: COMES NOW Plaintiff, Continental Casualty Company (hereinafter “CCC”) though the undersigned counsel, and very respectfully STATES and PRAYS: Pursuant to this Court’s Order of February 6, 2019, a Settlement Conference was scheduled in the instant case before Magistrate Judge Silvia Carreño for February 26, 2019, at 9:30 a.m. (Docket No. 185). The Court’s Order further advised that, if a continuance was required, three (3) alternative dates were to be submitted to the Court. Id. Counsel for Defendants advised CCC of certain conflicts in their calendars for the morning of February 26th, so the parties conferred in order to select three (3) alternated dates to be submitted to the Court for the referenced Settlement Conference. In this regard, and after conferring with counsel for all parties, the following dates were deemed to be available for all Case 3:16-cv-02656-JAG-SCC Document 187 Filed 02/15/19 Page 1 of 2 Motion Requesting Rescheduling of Settlement… Case No. 16-cv-2656 (JAG) Page No. -2- parties: • February 26, 2019 (in the afternoon); • February 27, 2019 (in the morning); and, • March 1, 2019 (all day). WEREFORE, and for the reasons set forth herein, CCC hereby respectfully request that the Honorable Court take notice of the aforementioned and that it grants a continuance of the Settlement Conference scheduled for February 26th to one of the times and dates set forth herein. RESPECTFULLY SUBMITTED. In San Juan, Puerto Rico, 15th day of February 2019. WE HEREBY CERTIFY: that on this date, we electronically filed the foregoing motion with the Clerk of the Court using the CM/ECF system that will send notification of such filing to all attorneys of record registered in the use of the CM/ECF system. EDGE Legal Strategies, P.S.C. 252 Ponce de León Ave. Citibank Tower, Suite 1200 San Juan, Puerto Rico 00918 Tel. (787) 522-2000 Fax (787)522-2010 s/Eyck O. Lugo EYCK O. LUGO, ESQ. USDN 216708 E-mail: elugo@edgelegalpr.com Case 3:16-cv-02656-JAG-SCC Document 187 Filed 02/15/19 Page 2 of 2