Court filing
Routine/administrative filing
Record facts
| Court | U.S. District Court for the Southern District of New York |
|---|---|
| Filed | 2023-03-08 |
U.S. District Court for the Southern District of New York · No. 1:21-cr-00729-LAK · Doc. 76 · 2023-03-08 · Docket on CourtListener
Summary
A letter from the Federal Defenders of New York dated March 8, 2023 and filed the same day as Doc. 76 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. Defense counsel Mark B. Gombiner asks Judge Lewis A. Kaplan to modify the terms of the defendant's bail to permit travel to Orlando, Florida between March 27 and March 30, 2023, stating that the Government and Pretrial Services consent. The letter states that on January 10, 2023 the court granted a similar request for travel to Florida but that the planned trip was not taken. It reports that her pretrial services officer advises she is in compliance with the terms of her release. The one-page letter copies an Assistant United States Attorney and the pretrial services officer.
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Full text
Federal Defenders OF NEW YORK, INC. David E. Patton Executive Director March 8, 2023 Honorable Lewis A. Kaplan United States District Judge Southern District of New York United States Courthouse 500 Pearl Street New York, New York 10007 Re: United States v. Chanette Lewis 21 Cr.729 (LAK) Your Honor: Southern District 52 Duane Street-10th Floar, New York, NY 10007 Tel: (212) 417-8700 Fax: (212) 571-0392 Southern District of Nen~ York Jennifer L. Brown Attorney-iit-Chnrge With the consent of the Government and Pretrial Services, I am requesting that the terms of Ms. Lewis's bail be modified to permit her to travel to Orlando, Florida between March 27 and March 30, 2023. On January 10, 2023, the Court granted a similar request for modification of bail for travel to Florida. However, Ms. Lewis was not able to take her planned trip. She is now able to do so. Ms. Lewis's PTSO, Viosanny Harrison, advises that Ms. Lewis is in compliance with the terms of her release.. Thank you for your attention to this matter, Respectfully submitted, ;, Mark B. Gombiner Attorney for Chanette Lewis cc: AUSA Michael Neff PTSO Viosanny Harrison Case 1:21-cr-00729-LAK Document 76 Filed 03/08/23 Page 1 of 1
File and source
- File
- gov.uscourts.nysd.571079.76.0.pdf
- Size
- 229,846 bytes
- SHA-256
- 36822f2e7c4c01299d5b9d53978baa6c447502e0d5324fb74b10381b6857771d
- Original
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