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CourtU.S. District Court for the Southern District of New York
Filed2024-05-08

U.S. District Court for the Southern District of New York · No. 1:21-cr-00729-LAK · Doc. 130 · 2024-05-08 · Docket on CourtListener

Summary

A letter dated May 8, 2024 and filed as Doc. 130 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 Hon. Lewis A. Kaplan, United States District Judge. Written on the letterhead of Federal Defenders of New York, Inc. and signed by Mark B. Gombiner as attorney for the defendant, it states that the request is made with the consent of the government. It asks that the date to surrender to serve her sentence be advanced from September 1, 2024 to July 1, 2024, so that she may begin serving the sentence earlier. The one-page letter is copied to an Assistant United States Attorney, Michael Neff.

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Full text

Federal Defenders 
OF NEW YORK, INC. 
Barry D. Leiwant 
Interim Executive Director 
and Attorney-in-Chief 
May 8, 2024 
Hon. 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 Floor, New York, NY 10007 
Tel: (212) 417-8700 Fax: (212) 571-0392 
Southern District of New York 
Jennifer L. Brown 
Attorney-in-Charge 
With the consent of the government, Ms. Lewis requests that the date to surrender to 
serve her sentence be advanced from September 1, 2024 to July 1, 2024. Ms. Lewis has made 
arrangements for the care of all her children and would prefer to begin serving her sentence 
earlier so that she may resume their care at an earlier point. 
Thank you for your consideration of this request. 
Respectfully submitted, 
~~.~ ,r~' 
Mark B. Gombiner 
Attorney for Chanette Lewis 
cc: AUSA Michael Neff 
Case 1:21-cr-00729-LAK     Document 130     Filed 05/08/24     Page 1 of 1

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