Pandemic Darlings The pandemic economy, in original documents
Home Court filings Routine/administrative filing

Court filing

Routine/administrative filing

Record facts

CourtU.S. District Court for the Southern District of New York
Filed2023-03-15

U.S. District Court for the Southern District of New York · No. 1:21-cr-00729-LAK · Doc. 76 · 2023-03-15 · Docket on CourtListener

Summary

A defense letter to Judge Lewis A. Kaplan 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, dated March 8, 2023 and filed as Document 76, with a filing stamp for Document 79 dated March 15, 2023. Written by Mark B. Gombiner of Federal Defenders of New York as attorney for Chanette Lewis, the letter asks that the terms of Ms. Lewis's bail be modified to permit travel to Orlando, Florida between March 27 and March 30, 2023. It states the request is made with the consent of the Government and Pretrial Services. The letter notes that on January 10, 2023 the Court granted a similar request that the trip did not go forward, and that her pretrial services officer reports she is in compliance with the terms of her release.

Summary drafted by a model from the document's text below and checked by script against that text before publication. It is a navigation aid, not a reading of what the document proves. Where AI is used

Full text

Case 1:21-cr-00729-LAK Document 76 Filed 03/08/23 Page 1 of 1 
Federal Defenders 
O F N EW YORK, INC. 
David E. Patton 
Executive Director 
Honorable Lewis A. Kaplan 
United States District Judge 
Southern District of New York 
United States Courthouse 
500 Pearl Street 
New York, New York 10007 
Southern District 
52 Duane Street-10th Floor, New York, NY 10007 
Tel: (212) 417-8700 Fax: (212) 571-0392 
Sowhem District of New York 
Jennifer L. Brown 
Attorney-in-Charge 
MEMO E .LJORSED 
March 8, 2023 
Re: United States v. Chanette Lewis 
21 Cr.729 (LAK) 
Your Honor: 
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, 
cc: AUSA Michael Neff 
PTSO Viosanny Harrison 
Respectfully submitted, 
(",.~': -~~~·,,-,·/ :5'..,,.,,-.-:::~~ ,,,•: 
Mark B. Gombiner 
Attorney for Chane~te Lewis ~~ 
LE 
Case 1:21-cr-00729-LAK     Document 79     Filed 03/15/23     Page 1 of 1

File and source

File
gov.uscourts.nysd.571079.79.0.pdf
Size
96,524 bytes
SHA-256
69e29232e8775c73189d284342c29b1b82a6d10fb1594865693f2fbfd88678dd
Our copy
gov.uscourts.nysd.571079.79.0.pdf
Original
PACER (login required)
Back to top