Court filing
LETTER by Adedayo Ilori addressed to Judge Lewis J.… — USA v. Chancy et al (Dkt. 107)
Record facts
| Court | U.S. District Court for the Southern District of New York |
|---|---|
| Filed | 2021-11-15 |
U.S. District Court for the Southern District of New York · No. 1:20-cr-00378-LJL · Doc. 107 · 2021-11-15 · Docket on CourtListener
Summary
A two-page letter dated November 15, 2021 from Brooke Cucinella of Simpson Thacher & Bartlett LLP, counsel for defendant Adedayo Ilori, to United States District Judge Lewis J. Liman, filed as Doc. 107 in No. 1:20-cr-00378-LJL in the U.S. District Court for the Southern District of New York. The letter updates the court on the defense's retention of a professional to evaluate the defendant ahead of the sentencing hearing scheduled for December 9. It states that the defense is still working out engagement logistics and hopes not to seek another extension. On discovery, it reports that the government produced certain discovery on November 12, 2021 and intends to produce more before sentencing, requesting a hard drive that could hold 2 TB of data. Counsel says it will keep the court updated on both matters.
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Full text
Simpson Thacher & Bartlett LLP 425 LEXINGTON AVENUE NE W YORK , NY 10017-3954 TELEPHONE: +1-212-455-2000 FACSIMILE: +1-212-455-2502 Direct Dial +1-212-455-3070 E-Mail Address brooke.cucinella@stblaw.com BY ECF November 15, 2021 Re: United States v. Ilori, No. 20-cr-378 (S.D.N.Y.) Dear Judge Liman: We represent defendant Adedayo Ilori in the above-captioned action. We write to update the Court regarding our retention of a mental health professional to evaluate Mr. Ilori ahead of the sentencing hearing currently scheduled for December 9 at 3:00 pm. Since we last wrote to the Court, we have identified a mental health professional to evaluate Mr. Ilori. We are still determining logistics and whether we will be moving forward with him or another professional given availability and logistics with evaluating an individual in the New Jersey correctional facility where Mr. Ilori is presently being detained—we are diligently working to finalize an engagement, and will keep the Court updated. We are hopeful not to have to seek another extension (for this reason) and will notify the Court as soon as possible as to when our engagement and logistical issues have been resolved. With respect to discovery, the Government produced certain discovery on Friday, November 12, 2021. We also learned last week, however, that the Government intends to produce additional discovery ahead of sentencing, specifically asking for a hard drive that could hold 2 TB of data. We are proactively working with the Government to get this discovery produced as soon as possible, and are hopeful that they will provide both a detailed index and an overview as to what they believe to be relevant to sentencing. We will keep the Court updated on our progress and will inform the Court when we have retained a mental health professional and the status of scheduling an examination of Mr. Ilori, as well as the status of our receipt and review of the discovery we learned about last week. The Honorable Lewis J. Liman United States District Judge Southern District of New York 500 Pearl St. New York, NY, 10007 Case 1:20-cr-00378-LJL Document 107 Filed 11/15/21 Page 1 of 2 -2- November 15, 2021 Respectfully submitted, Brooke Cucinella cc: Counsel of record (via ECF) /s/ Brooke Cucinella Case 1:20-cr-00378-LJL Document 107 Filed 11/15/21 Page 2 of 2
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