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Home Court filings USA v. Chancy et al — Adedayo Ilori filings, U.S. District Court, S.D.N.Y. LETTER MOTION addressed to Judge Lewis J.… — USA v. Chancy et al (Dkt. 83)

Court filing

LETTER MOTION addressed to Judge Lewis J.… — USA v. Chancy et al (Dkt. 83)

Record facts

CourtU.S. District Court for the Southern District of New York
Filed2021-08-09

U.S. District Court for the Southern District of New York · No. 1:20-cr-00378-LJL · Doc. 83 · 2021-08-09 · Docket on CourtListener

Summary

A letter motion dated August 9, 2021 from Brooke Cucinella of Simpson Thacher & Bartlett LLP, counsel for defendant Adedayo Ilori, to Judge Lewis J. Liman in United States v. Chancy, et al., No. 1:20-cr-00378-LJL, in the U.S. District Court for the Southern District of New York, filed as Doc. 83. With the consent of the Government, the letter requests a 45-day adjournment of the sentencing date then scheduled for August 25, 2021. It states the additional time is needed to prepare for the hearing and the sentencing submission. The letter asks that any new hearing avoid the week of September 27 and anticipates this will be the final adjournment request.

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Full text

Simpson Thacher & Bartlett LLP
425 LEX INGTON AVENUE
NEW YORK, NY 10017-3954 
TELEP HONE: +1-212-455-2000
FACSIMILE: +1-212-455-2502 
Direct Dial Number 
+1-212-455-3070 
E-mail Address 
Brooke.Cucinella@stblaw.com 
B E I J I N G
H O N G  K O N G
H O U S T O N
L O N DO N
L O S  A N G E L E S
P A L O  A L T O
S Ã O  P A U L O
S E O U L
T O K Y O
W A S H I N G T O N ,  D . C .
BY ECF 
August 9, 2021  
The Honorable Lewis J. Liman 
United States District Judge 
Southern District of New York 
500 Pearl St. 
New York, NY 10007 
Re:
United States v. Chancy, et al., 20 Cr. 00378 (S.D.N.Y.)
Dear Judge Liman: 
I write on behalf of my client, Adedayo Ilori, with the consent of the Government, to 
respectfully request a 45-day adjournment of Mr. Ilori’s sentencing date, currently scheduled 
for August 25, 2021.  An additional adjournment is necessary to provide sufficient time to 
prepare for the hearing and to prepare Mr. Ilori’s sentencing submission, a process that has 
been complicated due to ongoing family health issues and other responsibilities Mr. Ilori has 
been handling, which have been further complicated by the resurgent COVID-19 pandemic. 
If granted, the parties respectfully request that the Court avoid scheduling the hearing 
during the week of September 27, due to unavoidable conflicts during that week.   
We anticipate this will be Mr. Ilori’s final request for an adjournment, and we thank 
the Court for its consideration. 
Respectfully submitted, 
/s/ Brooke Cucinella
Brooke Cucinella 
cc: 
Counsel of record (by ECF) 
Case 1:20-cr-00378-LJL     Document 83     Filed 08/09/21     Page 1 of 1

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