Court filing
MOTION to Postpone Sentencing . Document filed by Adedayo Ilori — USA v. Ilori et al (Dkt. 110)
Record facts
| Court | U.S. District Court for the Southern District of New York |
|---|---|
| Filed | 2023-01-17 |
U.S. District Court for the Southern District of New York · No. 1:21-cr-00746-MKV · Doc. 110 · 2023-01-17 · Docket on CourtListener
Summary
A letter motion to postpone sentencing filed January 17, 2023 on behalf of defendant Adedayo Ilori in United States v. Ilori, No. 1:21-cr-00746-MKV, in the U.S. District Court for the Southern District of New York, docketed as Doc. 110. Addressed to Judge Mary Kay Vyskocil by defense counsel Avraham C. Moskowitz, it asks for a brief adjournment of the sentencing scheduled for April 11, 2023. The letter states that counsel will be out of the country on that date and will start a trial on April 18, 2023. It requests a sentencing date in early May and states that AUSA Juliana Murray informed counsel the Government has no objection.
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Full text
345 Seventh Avenue, 21st Floor
Avraham C. Moskowitz
New York, NY 10001
AMoskowitz@mb-llp.com
Phone: (212) 221-7999
Fax: (212) 398-8835
January 17, 2023
VIA ECF
The Honorable Mary Kay Vyskocil
United States District Judge
Southern District of New York
Daniel Patrick Moynihan United States Courthouse
500 Pearl Street
New York, NY 10007
Re:
United States v. Adedayo Ilori 21 Cr. 746 (MKV)
Dear Judge Vyskocil:
This letter is respectfully submitted on behalf of the defendant, Adedayo Ilori, to request a
brief adjournment of the sentencing, currently scheduled to take place before Your Honor on April
11, 2023. The adjournment is necessary because I will be out of the country on April 11, 2023, the
date recently set by the Court for the sentencing. I am returning to the United States on April 16
and will be starting a trial on April 18, 2023 which should be completed by April 28 at the latest.
In light of the above, it is respectfully requested that the Court adjourn Mr. Ilori’s
sentencing to a date in early May convenient to the Court and the parties. I have discussed the
requested extension with AUSA Murray who informed me that the Government has no objection
to the request.
Thank you in advance for your consideration of this matter.
Respectfully submitted,
Avraham C. Moskowitz
cc: AUSA Juliana Murray (by email)
AUSA Daniel Felton (by email)
Case 1:21-cr-00746-MKV Document 110 Filed 01/17/23 Page 1 of 1File and source
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