Case 1:22-cr-00024-AW-GRJ Document 35-2 Filed 01/30/23 Page 1 of 1
DAVID G. LAZARUS
PARTNER
EXHIBIT Verrill Dana LLP
One Federal Street, 20th Floor
dlazarus@verrill-law.com Boston, MA 02110
(617) 292-2859 2 Main 617-309-2600
VIA EMAIL
October 14, 2022
Justin M. Keen
Assistant United States Attorney
United States Attorney’s Office
Northern District of Florida
111 North Adams Street, 4th Floor
Tallahassee, FL 32301
Re: US v. Patrick Walsh, Plea Agreement Rider
Dear Justin,
Pursuant to the Plea Agreement Rider (the “Rider”) please be advised that Mr. Walsh has
elected to proceed with Path B to Repayment. Pursuant to Paragraph 17 of the Rider, Mr. Walsh
notifies the United States that he intends to list for sale the Sale Properties (see Rider at Exhibit
1). Enclosed, please find copies of documents relating to the listing and sale of the Sale
Properties, including the listing agreements described in the Rider, including in Paragraph 18:
• Sweetheart Island Documents
• Commercial Property – US HWY 19, Dixie County, FL
• 12 NW 5th PL Documents
• 8657 NE 150th Ave Documents
• 0412300500 Documents
• 041230050A Documents
• 541 SE 1 Ave Documents
As you know, on September 12, 2022 we sent you documents relating to the Cisco, Texas
property described as one of the Sale Properties. Please let us know if you have questions.
Thank you.
Best,
s/ David G. Lazarus_________
David G. Lazarus
Attorney for Patrick Walsh
cc. via email: Nicole Waid, Esq., Client
21000812_1