Court filing
Motion for Accounting of Seized Property by Carl Delano Torjagbo — USA v. Torjagbo (Dkt. 261, N.D. Ga. No. 1:22-cr-00171)
Filed February 6, 2026 in USA v. Torjagbo; one of 189 filings from this case.
Record facts
| Court | U.S. District Court for the Northern District of Georgia |
|---|---|
| Filed | 2026-02-06 |
U.S. District Court for the Northern District of Georgia · No. 1:22-cr-00171-MLB-RDC · Doc. 261 · 2026-02-06 · Docket on CourtListener
Full text
1 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION UNITED STATES OF AMERICA, : : Plaintiff, : : v. : CASE NO. : 1:22-cr-00171-MLB-RDC-1 : CARL DELANO TORJAGBO, : : Defendant. : ___________________________________ MOTION FOR ACCOUNTING OF SEIZED PROPERTY COMES NOW Defendant, CARL DELANO TORJAGBO, by and through undersigned counsel and respectfully files this Motion for Accounting of Seized Property, and in support shows as follows: 1. A large number of trucks and trailers were seized from Mr. Torjagbo as referenced in PSR- Pars. 35-36. Case 1:22-cr-00171-MLB-RDC Document 261 Filed 02/06/26 Page 1 of 3 2 2. None of these trucks or trailers were identified in a forfeiture notice by the Government. The status and whereabouts of these trucks and trailers are unknown. 3. Undersigned counsel has asked the Government several times as to the status of these trucks and trailers. Counsel has received no response. 4. Mr. Torjagbo is entitled to know the status of these items. WHEREFORE, Mr. Torjagbo requests the Government be ordered to provide information as to the status of these items. This 6th day of February, 2026. Respectfully submitted, s/Sandra Michaels SANDRA MICHAELS Attorney for Carl Torjagbo Georgia Bar No. 504014 965 Virginia Ave, N.E. Atlanta, Georgia 30306 (404) 312-5781 SLMichaelsLaw@gmail.com Case 1:22-cr-00171-MLB-RDC Document 261 Filed 02/06/26 Page 2 of 3 3 CERTIFICATE OF SERVICE Undersigned counsel has served the forgoing Motion for Accounting of Seized Property today by filing it using the Court’s CM/ECF system, which automatically notifies the parties and counsel of record. This 6th day of February, 2026. s/Sandra Michaels SANDRA MICHAELS Attorney for Carl Torjagbo Georgia Bar No. 504014 965 Virginia Ave, N.E. Atlanta, Georgia 30306 (404) 312-5781 SLMichaelsLaw@gmail.com Case 1:22-cr-00171-MLB-RDC Document 261 Filed 02/06/26 Page 3 of 3
File and source
- File
- gov.uscourts.gand.303267.261.0.pdf
- Size
- 458,021 bytes
- SHA-256
- 23346790805f0c8cd520084d91f3a4dc1b017b13ec64a76421d9f3c86927fe0b
- Original
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