Pandemic Darlings The pandemic economy, in original documents
Home Court filings USA v. Ebrahimzadeh United States v. David Ebrahimzadeh — D. Mass., No. 1:25-cr-10455-RGS Assented to Motion for Extension of Time to 04/24/2026 — USA v. Ebrahimzadeh (Dkt. 35, D. Mass.)

Court filing

Assented to Motion for Extension of Time to 04/24/2026 — USA v. Ebrahimzadeh (Dkt. 35, D. Mass.)

Filed February 19, 2026 in USA v. Ebrahimzadeh; one of 20 filings from this case.

Record facts

CourtU.S. District Court for the District of Massachusetts
Filed2026-02-19

U.S. District Court for the District of Massachusetts · No. 1:25-cr-10455-RGS · Doc. 35 · 2026-02-19 · Docket on CourtListener

Full text

1 
 
UNITED STATES DISTRICT COURT 
DISTRICT OF MASSACHUSETTS 
_______________________________________ 
 
 
UNITED STATES OF AMERICA 
 
 
 
v. 
 
DAVID EBRAHIMZADEH 
 
 
Criminal No. 25-cr-10455-RGS 
 
ASSENTED-TO MOTION TO EXTEND  
DEADLINE TO COMPLETE AUTOMATIC DISCOVERY 
 
Pursuant to Local Rule 116.1(e) and (f), the United States of America, with the assent of 
the defendant, requests that the Court amend the alternative automatic discovery schedule that it 
previously adopted, and permit the government until April 24, 2026 to complete automatic 
discovery in this matter. 
In support of this motion, the government states that on January 21, 2026, the government 
produced over 2.1 million pages of discovery.  The government anticipates making at least one 
supplemental production.  The government had hoped to be able to complete that production by 
February 20.  However, given the scope of the material collected in this case, the fact that the 
undersigned AUSA took over the prosecution of this matter after the original AUSA left the office, 
and the undersigned AUSA’s other responsibilities, the process is taking longer than anticipated.  
Accordingly, the government requests an additional two months, until April 24, 2026, to complete 
automatic discovery.  The government has conferred with counsel for the defendant, who assents 
to this request. 
Case 1:25-cr-10455-RGS     Document 35     Filed 02/19/26     Page 1 of 2

 
2 
 
WHEREFORE, the government requests that the Court amend the alternative automatic 
discovery schedule, and extend the deadline for completion of automatic discovery until April 24, 
2026.   
Respectfully submitted, 
 
UNITED STATES OF AMERICA 
By its attorney, 
 
LEAH B. FOLEY 
United States Attorney 
 
/s/ Elianna J. Nuzum  
 
 
Elianna J. Nuzum  
Assistant United States Attorney 
John Joseph Moakley U.S. Courthouse 
One Courthouse Way, Suite 9200 
Boston, MA 02210 
elianna.nuzum@usdoj.gov 
 
 
 
 
 
 
 
617.748.3100 
 
LOCAL RULE 7.1(A)(2) CERTIFICATION 
I hereby certify that, consistent with Local Rule 7.1(a)(2), the parties have conferred and 
attempted in good faith to resolve or narrow the issues presented in this motion, and the 
defendant, through counsel, has assented to this motion. 
/s/ Elianna J. Nuzum  
 
 
Elianna J. Nuzum  
 
CERTIFICATE OF SERVICE 
 
Undersigned counsel certifies that this document filed through the ECF system will be 
sent electronically to the registered participants as identified on the Notice of Electronic Filing 
(NEF) and paper copies will be sent to those indicated as non-registered participants.  
 
 
 
 
 
 
 
 
 
/s/ Elianna J. Nuzum  
 
 
 
 
 
 
 
 
 
Elianna J. Nuzum 
 
 
 
 
 
 
Assistant United States Attorney 
 
Dated: February 19, 2026 
Case 1:25-cr-10455-RGS     Document 35     Filed 02/19/26     Page 2 of 2

File and source

File
gov.uscourts.mad.293123.35.0.pdf
Size
106,369 bytes
SHA-256
4e5b8661533c701fd8421109be6a2476bdb5a13bd59fa53c9ec1831fa72d32a3
Our copy
gov.uscourts.mad.293123.35.0.pdf
Original
PACER (login required)
Back to top