Court filing
Indictment - United States v. Tracy and Carolyn Wade
Record facts
| Court | U.S. District Court for the Southern District of Florida |
|---|---|
| Filed | 2024-02-20 |
U.S. District Court for the Southern District of Florida · No. 0:23-cr-60173-KMW · Doc. 23 · 2024-02-20 · Docket on CourtListener
Summary
An Unopposed Motion for Substitution of Counsel filed by defendant Carolyn D. Wade in United States v. Carolyn D. Wade, No. 0:23-cr-60173-KMW, in the U.S. District Court for the Southern District of Florida, entered on the docket February 20, 2024 as Doc. 23. The motion states that Ms. Wade is charged by Indictment with one count of wire fraud under 18 U.S.C. 1343 and that a calendar call is set for March 18, 2024. It asks that Johnny L. McCray, Jr. replace Brian Silber as attorney of record, stating that Mr. Silber and Assistant U.S. Attorney David Snider have no objection. It asks that the matter be set for April 29, 2024, citing counsel's trial schedule, and states that both sides can be ready for trial on or after April 2, 2024. The three-page filing includes a stipulation for substitution with the client's consent and a certificate of service dated February 16, 2024.
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UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
UNITED STATES OF AMERICA, Case No. 23-cr-60173-Williams
Plaintiff,
v.
CAROLYN D. WADE,
Defendant.
/
UNOPPOSED MOTION FOR SUBSTITUTION OF COUNSEL
COMES NOW the Defendant, CAROLYN WADE (Ms. Wade), by and through the
undersigned Counsel, and files this Unopposed Motion for Substitution of Counsel and
further requests this Honorable to accept the stipulation herein below. Ms. Wade
would show unto the court the following:
1. Ms. Wade is charged by Indictment with one count of wire fraud, in violation of
18 U.S.C. 1343.
2. A calendar call is currently scheduled for March 18, 2024.
3. Ms. Wade is currently represented by Mr. Brian Silber, Esq., and has contacted
the undersigned this week concerning substituting Mr. Silber as attorney-of-record.
4. The undersigned conferred with Mr. Silber on February 14, 2024, and he
indicates that he has no objection.
5. The undersigned also conferred with the assigned Assistant United States
Attorney David Snider, who also has no objection.
6. If the undersigned is allowed to substitute in as attorney-of-record, the
undersigned respectfully requests that this matter be set for April 29, 2024 as the
Case 0:23-cr-60173-KMW Document 23 Entered on FLSD Docket 02/20/2024 Page 1 of 3
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undersigned starts a state court 5–6-day trial on Tuesday February 20, 2024 and an
estimated 4–5-day PPP fraud trial on February 26, 2024, before The Honorable Judge
James Cohn (United States v. Stephanie Smith, Case# 23-cr-60203-Bloom). Thereafter,
the undersigned has very longstanding plans to be out of the country from March 19
through March 31, 2024. Non-refundable airline tickets and other event tickets have
been purchased.
7. The undersigned and AUSA Snider both agree that we can be ready for trial
on or after April 2, 2024.
WHEREFORE, Ms. Smith and the undersigned respectfully requests this
Honorable Court grants this Unopposed and Stipulated Motion for Substitution of
Counsel, and any other relief deemed necessary, appropriate, and fair.
STIPULATION FOR SUBSTITUTION OF COUNSEL
It is hereby stipulated and agreed that in the case of U.S.A. v. Carolyn D. Wade, Case
No. 23-cr-60173-Williams, Attorney Johnny L. McCray, JR., Esquire, shall be
substituted as attorney of record in this action for Client, Carolyn D. Wade, in place
of Brian Silber, Esquire, thereby relieving Brian Silber, Esquire, from any further
responsibility in this matter. All future pleadings, motions, filings of records and other
correspondence should be forwarded to Johnny L. McCray, Jr., Esquire on behalf of
the named Client, Carolyn D. Wade.
Consent by Client: Carolyn Wade.
Carolyn D. Wade
_____________________________
BRIAN SILBER, ESQ.
Johnny L. McCray, Jr,
Case 0:23-cr-60173-KMW Document 23 Entered on FLSD Docket 02/20/2024 Page 2 of 3
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CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on February 16, 2024, I electronically filed the
foregoing document with the Clerk of the Court using CM/ECF. I further certify that
the foregoing document is being served this day on all counsel of record via
transmission of Notices Electronic Filing generated by CM/ECF or in some other
authorized manner for those counsel or parties who are not authorized to receive
electronically Notices of Electronic Filing.
Respectfully Submitted,
/s/ Johnny L. McCray, Jr., Esq.
Law Office of Johnny McCray, Jr., P.A.
Attorney for Stephanie Smith
Florida Bar No. 342319
400 East Atlantic Boulevard
Pompano Beach, Florida 33060
Ph: (954) 781-3662
Email: Mccrayjlaw@gmail.com
Case 0:23-cr-60173-KMW Document 23 Entered on FLSD Docket 02/20/2024 Page 3 of 3File and source
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