{"id":"court_sdny_184_0","court":"SDNY","case_no":"23-cr-00118","doc_number":184,"sub_number":0,"doc_type":"DECLARATION","filed_date":null,"title":"UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK UNITED STATES OF AMERICA,","summary_zh":null,"summary_en":null,"body_en":"## **UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK**\n\nUNITED STATES OF AMERICA,\n\nPlaintiff,\n\nv.\n\nHO WAN KWOK, *et al.*\n\nDefendants.\n\n23-cr-00118 (AT)\n\n**DECLARATION OF BRADFORD L. GEYER IN SUPPORT OF MOTION FOR ADMISSION PRO HAC VICE**\n\nECF CASE\n\nI, BRADFORD L. GEYER, hereby declare as follows:\n\n1. I am a partner with the firm of FormerFedsGroup.Com LLC, a law firm in the State of New Jersey;\n\n2. I submit this declaration in support of my Motion for Admission Pro Hac Vice in the above-captioned matter;\n\n3. As shown in the Certificate of Good Standing attached hereto, I am a member in good standing of the bar of the state of New Jersey.\n\n4. I have never been convicted of a felony, never been censured, suspended,\n\ndisbarred or denied admission or readmission by any court, and there are no pending\n\ndisciplinary proceedings presently against me in any court.\n\n5. I respectfully request to be permitted to appear as counsel *pro hac vice* in this case for to represent the interests of 3,345 customers of the Himalaya Exchange whose funds have been seized.\n\nI declare under penalty of perjury that the foregoing statements are true and correct based on my personal knowledge.\n\nExecuted this 5th day of December, 2023.\n\n*/s/ Brad Geyer*  BRADFORD L. GEYER","body_zh":null,"key_entities":["Geyer","Je","Kwok","Ho Wan Kwok","Himalaya","Himalaya Exchange"],"ecf_references":[],"word_count":215,"status":"published","published_at":null,"created_at":null,"updated_at":"2026-07-06 20:50:49"}