{"id":"court_sdny_154_0","court":"SDNY","case_no":"23-cr-00118","doc_number":154,"sub_number":0,"doc_type":"MOTION","filed_date":"2023-10-11","title":"U.S. Department of Justice** Case 1:23-cr-00118-AT Document 154 Filed 10/11/23 Page 1 of 1","summary_zh":null,"summary_en":null,"body_en":"*United States Attorney Southern District of New York*\n\n*The Silvio J. Mollo Building One Saint Andrew's Plaza New York, New York 10007*\n\nOctober 11, 2023\n\n**VIA ECF** Hon. Analisa Torres Daniel Patrick Moynihan United States Courthouse\n\n500 Pearl St. New York, NY 10007-1312\n\n## **Re:** *United States v. Kwok, et al.***, S1 23 Cr. 118 (AT)**\n\nDear Judge Torres:\n\nThe Government writes to respectfully request a one-week adjournment of the deadlines for the Government's opposition to the defendants' motion to compel discovery and the defendants' reply to that opposition. The Government has spoken with counsel for defendant Ho Wan Kwok, who consents to the proposed adjustment to the briefing schedule.[1](#page-0-0) Accordingly, the Government requests to file its opposition by October 19, 2023, with the defendants' replies due on November 2, 2023.\n\nThe Government is available to address any questions the Court may have.\n\nRespectfully submitted,\n\nDAMIAN WILLIAMS United States Attorney\n\nBy: /s/\n\nRyan B. Finkel Juliana N. Murray Micah F. Fergenson Assistant United States Attorneys (212) 637-6612 / 2314 / 2190\n\nCc: All Counsel of Record (by ECF)\n\n![](_page_0_Picture_17.jpeg)\n\n<span id=\"page-0-0\"></span><sup>1</sup> The Government reached out to Wang's counsel today by telephone and email regarding this proposed revised briefing schedule, but has not yet been able to connect with counsel to learn their position on the request.","body_zh":null,"key_entities":["Kwok","Torres","Ho Wan Kwok","Analisa Torres","Fergenson","Murray","Finkel"],"ecf_references":[],"word_count":216,"status":"published","published_at":"2023-10-11 00:00:00","created_at":"2023-10-11","updated_at":"2026-07-06 20:50:41"}