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Home Court filings USA v. Bella — Amos Mundendi filings, U.S. District Court, S.D.N.Y. LETTER MOTION addressed to Judge Paul A.… — USA v. BELLA (Dkt. 236)

Court filing

LETTER MOTION addressed to Judge Paul A.… — USA v. BELLA (Dkt. 236)

Record facts

CourtU.S. District Court for the Southern District of New York
Filed2023-02-03

U.S. District Court for the Southern District of New York · No. 1:21-cr-00247-PAE · Doc. 236 · 2023-02-03 · Docket on CourtListener

Summary

A letter motion from the Government to United States District Judge Paul A. Engelmayer in United States v. Amos Mundendi, 21 Cr. 247 (PAE), in the U.S. District Court for the Southern District of New York, dated February 3, 2023 and filed the same day as Document 236. The letter requests a new date for the sentencing of Amos Mundendi, then scheduled for February 16, 2023 at 10:30 a.m. Citing a conflict on the part of Government counsel, it asks the Court to hold the sentencing hearing at 11 a.m. on February 14, 2023, and states that the Government understands from the Court's chambers that the time is available. It states that defense counsel has no objection to the request. The letter is submitted under the name of Damian Williams, United States Attorney, by Dina McLeod, Assistant United States Attorney, and is copied to Tamara Giwa, Esq.

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Full text

[Type text] 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
February 3, 2023 
 
 
BY ECF AND EMAIL 
 
The Honorable Paul A. Engelmayer 
United States District Judge 
Southern District of New York 
40 Foley Square 
New York, New York 10007 
 
 
 
Re:  
United States v. Amos Mundendi, 21 Cr. 247 (PAE) 
 
Dear Judge Engelmayer: 
 
 
 
 
The Government writes to respectfully request a new date for the sentencing of Amos 
Mundendi, currently scheduled for February 16, 2023 at 10:30 a.m.  Due to a conflict on the part 
of Government counsel, the Government requests that the Court hold the sentencing hearing at 11 
a.m. on February 14, 2023.  The Government understands from its communications with the 
Court’s chambers that that time is available. 
 
 
 
Defense counsel has no objection to this request. 
 
 
 
Respectfully submitted,  
DAMIAN WILLIAMS 
United States Attorney 
 
By: 
  
  
  
 
Dina McLeod 
Assistant United States Attorney 
(212) 637-1040 
 
 
cc:   Tamara Giwa, Esq. (by email and ECF) 
         
 
 
The Silvio J. Mollo Building 
 
 
 
 
 
 
 
 
 
 
 
 
 
One Saint Andrew’s Plaza 
 
 
 
 
 
 
 
 
 
 
 
 
 
New York, New York 10007 
U.S. Department of Justice 
United States Attorney 
Southern District of New York 
Case 1:21-cr-00247-PAE     Document 236     Filed 02/03/23     Page 1 of 1

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