United States v. Simon

1:18-cr-00339 | S.D.N.Y. | Dec 6, 2019

U.S, Department of Justice freee OI United States Attorney i PN Southern District of New York The Silvie J. Molle Building One Sait Andrew's Plaza New York, New York 10007 ble glide The Honorable Paul A. Crotty be United States District Judge hk “He 4 pele © yuew Southern District of New York Abe Le Jus. 7 ag 500 Pear! Street New York, New York 10007 yi; Y ti y y f Re: United States v. Dwight Forde, 18 Cr. 339 (PAC) fi YY fu q CS The Government respectfully writes, with the consent of the defendant, to request that the Court exclude time from Speedy Trial Act calculations until the date of the next pretrial conference Z in this matter. Yesterday, the Court granted the defendant's request to. adjourn-the-next-pretrial, i conference until. January.7; 2020. The Government respectfully requests that time be excluded. under t the Speedy Trial Act, 18 U.S.C. § 3161(h)(7)(A), until January 7, 2020;4e to-allow additional time for the defendant to review the discovery materials and to * deteimine what, if any, pretrial motions he may file. Defense counsel, Matthew Myers, consents to this request. Dear Judge Crotty: Respectfully submitted, GEOFFREY S. BERMAN United States Attorney for the Southern District of New York By:__s/ Nicholas W. Chiuchiolo Robert B. Sobelman Assistant United States Attorneys (212) 637-1247/2616 Cc: Matthew D. Myers, Esq. (by ECF)