Case 1:25-cr-00283-PAE Document 55 Filed 04/09/26 Page 1 of 1
U.S. Department of Justice
United States Attorney
Southern District ofNew York
The Jacob K. Javits Federal Building
26 Federal Plaza
New York, New York 10278
April 8, 2026
BYECF
The Honorable Paul A. Engelmayer
United States District Court
Southern District of New York
40 Foley Square
New York, New York 10007
Re: United States v. Ali Rashan, 25 Cr. 283 (PAE)
Dear Judge Engelmayer:
The Government writes on behalf of the parties to respectfully request that the deadlines
in this case currently set for Friday, April 10, be adjourned to Monday, April 13. The parties are
engaged in plea discussions and anticipate being in a position to advise the Court whether a plea
agreement has been reached in principle by no later than this Friday. The parties appreciate the
Court's consideration of this request for limited additional time to continue these discussions.
Respectfully submitted,
SEAN S. BUCKLEY
Attorney for the United States,
Acting under Authority
Conferred by 28 U.S.C. § 515
by: ~Is~!_ _ _ _ _ _ _ _ __
Timothy V. Capozzi
Jackie Delligatti
Qais Ghafary
Assistant United States Attorneys
cc: Defense Counsel (by ECF)
GRANTED.
United States District Judge
Dated: April 9, 2026
New York, New York