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Court filing · Jan. 27, 2020

Defense letter asking an official to adjourn a private individual trial, Jan. 2020

An attorney, counsel for jailer a private individual, asks the court to postpone the April 2020 trial citing 877GB of voluminous discovery including video surveillance and interviews.Machine-written summary

Document EFTA 02845822

Case 1:19-cr-00830-AT Document 20 Filed 01/27/20 Page 1 of 2 gigi, FOY& SEPLOWITZE a t t o r n ey s a t l a w

105 MAIN STREET HACKENSACK. NJ 07601 TEL: 201-457-0071 FAX: 201-457-0072

FILED VIA ECF

WWW.FOYSEPLOWITZ.COM

January 27, 2020

Honorable Analisa United States District Court Judge Southern District of New York 500 Pearl Street New York, NY 10007

Re: US v. Tova Noel. et al Docket # 19 cr. 830 (AT) Request to Adjourn Trial Date

Dear Judge

30 WALL STREET 8TH FLOOR NEW YORK. NY 10005 TEL 212-709-8230

On November 25, 2019, during the initial status conference the Court scheduled the above referenced criminal action for trial to commence on April 20, 2020. I am requesting that the trial date be postponed to sometime in October or a date thereafter that is convenient for the Court.

The adjournment is necessary to ensure that Ms. Noel receives adequate and effective assistance of counsel. The postponement of the trial will allow for the defense to review voluminous discovery and conduct a defense investigation of the case.

On November 22, 2019, I informed the Government that I would provide them with a hard drive during the November 25, 2019 initial status conference. On November 25, 2019, I provided the Government with a hard drive for discovery and the Government informed the Court that they would produce discovery in 30 days. The Government forwarded discovery on the hard drive to my office on December 31, 2019. The discovery was received by my office on January 2, 2020. On January 4, 2020, I attempted to review the discovery and I could not access it because the Government provided the incorrect password to get access. On January 6, 2020, I was provided with the correct password and gained my first access to the discovery.

The discovery contained in the initialproduction is 877GB of materials. The 877GB of materials contains up to 8118 of global discovery and up to 20,853 of individual discovery. In folder marked SDNY 00000001, there is video surveillance capturing 3 separate cameras from July 5, 2019 thru August 12, 2019. Each date allegedly contains the 24-hour period for each day, from each camera, and in 1-hour increments per individual file. Note, that there is video surveillance in the Government’s possession that has not been turned over, however, the Government

PAGE 2

indicated that those video surveillance files will be turned over upon request. Furthermore, SDNY_7549.8118 contains the interviews of approximately 29 employees and 14 inmates. It will be necessary to interview many, if not all the witnesses previously interviewed by the Government.

A review of the video surveillance turned over reveals that most of the videos are not date or time stamped. After discussions with the Government, on January 21, 2020, I provided the Government with a flash drive to reproduce the same video surveillance contained in SDNY_00000001 with the date and time stamps. On January 22, 2020, the Government received the flash drive and advised my office that the flash drive was not functioning properly. On January 23, 2020, I forwarded a 1TB hard drive to the Government to provide the requested materials. Based upon representations made by the Government, I expect to receive the hard drive back by January 27, 2020.

On January 24, 2020, my office received additional discs from the Government. The additional discovery increased the global discovery number to 8132.

Based upon the volume of discovery received to date, defendant Noel is not able to determine what motions or legal issues she will raise. I anticipate making additional requests for discovery or information, however, I will need significant time to review and digest the discovery to have an appreciation of what materials we do have and what materials we do not have that we are entitled to.

I will be prepared to discuss this issue in further detail during our upcoming status conference on January 30, 2020 at 11:00am. Thank you for your thoughtful consideration.

Sincerely,

FOY & SEPLOWITZ LLC

gadetAl e Zet

JASON E. FOY irovoiovsepiowtsz.com

end.

Defense letter asking an official to adjourn a private individual trial, Jan. 2020

Court filings

An attorney, counsel for jailer a private individual, asks the court to postpone the April 2020 trial citing 877GB of voluminous discovery including video surveillance and interviews.

Court Records: S.D.N.Y. No. 1:19-cr-00830 · Jan. 27, 2020

Document EFTA 02845822 Case 1:19-cr-00830-AT Document 20 Filed 01/27/20 Page 1 of 2 gigi, FOY& SEPLOWITZE a t t o r n ey s a t l a w 105 MAIN STREET HACKENSACK. NJ 07601 TEL: 201-457-0071 FAX: 201-457-0072 FILED VIA ECF WWW.FOYSEPLOWITZ.COM January 27, 2020 Honorable Analisa United States District Court Judge Southern District of New York 500 Pearl Street New York, NY 10007 Re: US v. Tova Noel. et al Docket 19 cr. 830 (AT) Request to Adjourn Trial Date Dear Judge 30 WALL STREET 8TH FLOOR NEW YORK. NY 10005 TEL 212-709-8230 On November 25, 2019, during the initial status conference the Court sc…