Court filing
ENDORSED LETTER as to (21-Cr-746-1) Adedayo Ilori addressed to Judge Mary Kay Vyskocil… — USA v. Ilori et al (Dkt. 123)
Record facts
| Court | U.S. District Court for the Southern District of New York |
|---|---|
| Filed | 2023-05-03 |
U.S. District Court for the Southern District of New York · No. 1:21-cr-00746-MKV · Doc. 123 · 2023-05-03 · Docket on CourtListener
Summary
An endorsed letter in United States v. Adedayo Ilori, No. 1:21-cr-00746-MKV, in the U.S. District Court for the Southern District of New York, filed May 3, 2023 as Doc. 123. Defense counsel Avraham C. Moskowitz, writing to Judge Mary Kay Vyskocil on May 2, 2023, asks for a brief adjournment of the sentencing then set for May 8, 2023. The letter cites counsel's unavailability that morning and the defendant's need for time to review the Government's sentencing submission, received May 1. It proposes a date in the weeks of May 15 or May 22 and states that the Government has no objection. The court's endorsement grants the request and adjourns the sentencing to May 25, 2023 at 2:30 PM.
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Full text
Moskowitz Colson
Ginsberg & Schulman LLP
80 Broad Street, Suite 1900
New York, NY 10004
(212) 257-6455
www.mcgsllp.com
May 2, 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
May 8, 2023. The adjournment is necessary for two reasons. First, I am unavailable on the
morning of May 8, because I am needed to accompany my 94 year old father to an important
doctor’s appointment that was recently scheduled and cannot be postponed. Additionally, I
received the Government’s sentencing submission on May 1, provided a copy to my client earlier
today and he informed me that he needs some time to review the submission and consult with me
about potential responses to the Government’s arguments.
In light of the above, it is respectfully requested that the Court adjourn Mr. Ilori’s
sentencing to a date during the weeks of May 15 or May 22 convenient to the Court and the
parties. In that regard, Ms. Murray advised me that the Government is available any time during
the week of May 15, with the exception of the afternoon of May 15. I am available any time
during those two weeks, with the exception of the morning of May 24 and all day on May 26.
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
5/3/2023
USDC SDNY
DOCUMENT
ELECTRONICALLY FILED
DOC #:
DATE FILED:
Case 1:21-cr-00746-MKV Document 123 Filed 05/03/23 Page 1 of 2
Moskotwitz Colson Ginsberg & Schulman LLP
2
cc: AUSA Juliana Murray (by email)
AUSA Daniel Felton (by email)
GRANTED. The sentencing of Defendant Adedayo Ilori is
ADJOURNED to May 25, 2023 at 2:30 PM. SO ORDERED.
5/3/2023
Case 1:21-cr-00746-MKV Document 123 Filed 05/03/23 Page 2 of 2File and source
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