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Home Court filings USA v. Ilori et al — U.S. District Court, Southern District of New York ENDORSED LETTER as to (21-Cr-746-1) Adedayo Ilori addressed to Judge Mary Kay Vyskocil……

Court filing

ENDORSED LETTER as to (21-Cr-746-1) Adedayo Ilori addressed to Judge Mary Kay Vyskocil… — USA v. Ilori et al (Dkt. 135)

Record facts

CourtU.S. District Court for the Southern District of New York
Filed2023-06-30

U.S. District Court for the Southern District of New York · No. 1:21-cr-00746-MKV · Doc. 135 · 2023-06-30 · Docket on CourtListener

Summary

An endorsed letter from defense counsel Sanford Talkin to Judge Mary Kay Vyskocil 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, dated and filed June 30, 2023 as Doc. 135. The letter requests a one-week extension of the defense filing deadline to July 17, 2023 and a government response date of July 21, 2023, citing counsel's unavailability. It states that the government consents, that this is the first application for this relief and that the Speedy Trial Act is not implicated. The letter adds that the parties will confer with Chambers to schedule the sentencing hearing and notes a pending request for the sealed portion of the trial transcript. It is a one-page filing.

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Full text

June 30, 2023 
Honorable Mary Kay Vyskocil 
United States District Judge 
Southern District of New York 
500 Pearl Street 
New York, New York 10007 
VIA ECF 
Re: 
United States v. Adedayo Ilori 
21 Cr. 746 (MKV) 
Dear Judge Vyskocil: 
I am in receipt of the Court’s Order filed earlier today.  By this letter, I respectfully request 
a one week extension of the due date for the defense filing to July 17, 2023 and a concurrent 
government response extension to July 21, 2023 (the government has graciously agreed to a shorter 
turn around date).  The reason for the requested extension is that I will be out of the office from 
today through July 5, 2023 and have a medical procedure on July 7, 2023.  The government, by 
Assistant United States Attorney Juliana Murray consents to this request.  This is the first 
application for this relief and the Speedy Trial Act is not implicated.   
After the defense filing and prior to the government’s response, the parties will confer with 
each other and Chambers to schedule the sentencing hearing.  Defendant Ilori also respectfully 
reminds the Court that he has a pending “Auth 24” in the E-voucher system for approval for the 
Southern District Reporters to provide him with the sealed portion of the trial transcript.   
Thank you for Your Honor’s consideration of this application and attention to these 
matters.  
Very truly yours, 
Sanford Talkin 
Sanford Talkin 
6/30/2023
6/30/2023
USDC SDNY 
DOCUMENT 
ELECTRONICALLY FILED 
DOC #: 
 
 
 
DATE FILED: 
 
 
Case 1:21-cr-00746-MKV     Document 135     Filed 06/30/23     Page 1 of 1

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