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
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The Honorable Paul A. Crotty be
United States District Judge hk “He 4 pele © yuew
Southern District of New York Abe Le
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500 Pear! Street
New York, New York 10007 yi; Y ti y y f
Re: United States v. Dwight Forde, 18 Cr. 339 (PAC)
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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)