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| Court | U.S. District Court for the Southern District of New York |
|---|---|
| Filed | 2023-01-10 |
U.S. District Court for the Southern District of New York · No. 1:21-cr-00729-LAK · Doc. 67 · 2023-01-10 · Docket on CourtListener
Summary
A letter from the Federal Defenders of New York dated and filed January 10, 2023 as Document 67 in United States v. Chanette Lewis, No. 1:21-cr-00729-LAK, in the U.S. District Court for the Southern District of New York, addressed to United States District Judge Lewis A. Kaplan. Signed by Mark B. Gombiner as attorney for Ms. Lewis, it requests, with the consent of the Government and Pretrial Services, that her conditions of release be modified to allow travel to Miami, Florida. The letter recounts that on October 5, 2021 Magistrate Judge Parker set conditions including a $200,000 personal recognizance bond, travel limited to SDNY/EDNY and pretrial supervision. It states that Ms. Lewis is in compliance with her release conditions and that Assistant United States Attorney Michael Neff has no objection.
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Full text
Federal Defenders
OF NEW YORK, INC.
Dnt'itl E. Fallon
Exenuioe Director
and .-1 Norurt'-i~r('hieJ
Honorable Lewis A. Kaplan
United States District Judge
Southern District of New York
United States Courthouse
500 Pearl Street
New York, NY 10007
Re:
United States v. Chanette Lewis,
21 Cr. 729 (LAK)
Southern District
52 Duane Street-10th Floor, New York, NY 10007
Tel: (212) 417-8700 Fax: (212) 571-0392
$outhmi Dismct of Neu Yrnk
leuniJer L. Brnrrn
Auomry-in-Charge
January 10, 2023
Your Honor
With the consent of the Government and Pretrial Services, Ms. Lewis requests that the
Court modify her conditions of release to allow her travel to Miami, Florida from Januaryl6-
19, 2023. Pretrial Services has been provided with the exact address where she will by
staying, her travel itinerary, and other requested information.
On October 5, 2021, Magistrate Judge Parker set conditions of release including the
following: a $200,000 personal recognizance bond to be signed by 2 FRP'S (mother to sign
for moral suasion), travel Limited to SDNY/EDNY, and pretrial supervision as directed by
Pretrial Services.. On October 14, 2021, Judge Netburn added a mental health condition so
that Pretrial Services could more fully work with Ms. Lewis on her care plan. Ms. Lewis is in
compliance with the conditions of her release.
As noted, Pretrial Services Officer Viasanny Harrison and Assistant United States
Attorrney Michael Neff have no objection to this request.
Thank you for your attention to this request.
Respectfully submitted,
Mark B. Gombiner
Attorney for Chanette Lewis
cc:
AUSA Michael Neff, USPTSO Viasanny Harrison
Case 1:21-cr-00729-LAK Document 67 Filed 01/10/23 Page 1 of 1File and source
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