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
Filed2023-07-19

U.S. District Court for the Southern District of New York · No. 1:21-cr-00729-LAK · Doc. 90 · 2023-07-19 · Docket on CourtListener

Summary

A letter from defense counsel 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 July 18, 2023 and filed July 19, 2023 as Doc. 90. The letter asks the Court to modify Ms. Lewis's conditions of release to allow travel to the Southern District of Florida between July 25 and July 28, 2023. It states that Pre-trial Services and the Government do not object, and that counsel will give Pre-Trial Services the travel itinerary. The letter notes that the court previously granted permission to travel to Florida, citing ECF No. 68, 79. It is signed by Mark Gombiner as attorney for Chanette Lewis.

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

July 18, 2023 
 
BY ECF/PACER 
The Honorable Lewis A. Kaplan 
United States District Judge 
Daniel Patrick Moynihan 
United States Courthouse 
500 Pearl St. 
New York, NY 10007 
 
 
 
 
 
Re: 
United States v. Chanette Lewis 
 
21 Cr. 729 (LAK) 
 
Dear Judge Kaplan: 
 
 
I write with no objection from Pre-trial Services (PTS) and the Government to 
respectfully request that the Court modify Ms. Lewis’s conditions of release to allow her to 
travel to the Southern District of Florida between July 25 and July 28, 2023, for the purpose 
of celebrating her birthday with her three children. Ms. Lewis would fly to Orlando, Florida 
on July 25th, stay at the Coco Key Hotel and Water Resort, and return to the Southern District 
of New York on July 28th. We will provide Pre-Trial Services the exact address, travel 
itinerary, and any other requested information. Since her release on bail in this case, the court 
has granted Ms. Lewis permission to travel to Florida on prior occasions. See, ECF No. 68, 
79.  
 
Thank you for your time and consideration.  
 
 
Respectfully submitted, 
 
 
 
 
 
 
 
 
/s/Mark Gombiner 
Mark Gombiner 
Attorney for Chanette Lewis 
(212) 417-8718 
 
 
cc: 
AUSA Michael Daniel Neff 
USPTSO Viosanny Harrison  
Case 1:21-cr-00729-LAK     Document 90     Filed 07/19/23     Page 1 of 2

 
Re: 
United States v. Chanette Lewis 
 
21 Cr. 729 (LAK) 
 
 
Case 1:21-cr-00729-LAK     Document 90     Filed 07/19/23     Page 2 of 2

File and source

File
gov.uscourts.nysd.571079.90.0.pdf
Size
253,533 bytes
SHA-256
912e347c0a33c8c7026ccdab94883f2535b0f2515cf751e51329d6ec60c03605
Our copy
gov.uscourts.nysd.571079.90.0.pdf
Original
PACER (login required)
Back to top