{"id":"court_sdny_292_0","court":"SDNY","case_no":"23-cr-00118","doc_number":292,"sub_number":0,"doc_type":"ORDER","filed_date":"2020-05-07","title":"UNITED STATES DISTERICT COURT SOUTHERN DISTRICT OF NEW YORK UNITED STATES OF AMERICA,","summary_zh":null,"summary_en":null,"body_en":"## **UNITED STATES DISTERICT COURT SOUTHERN DISTRICT OF NEW YORK**\n\nUNITED STATES OF AMERICA,\n\nv.\n\nYANPING WANG,\n\nDefendant.\n\n23 Cr. 118-3 (AT)\n\n## **DECLARATION OF BRENDAN F. QUIGLEY IN SUPPORT OF DEFENDANT'S OPPOSITION TO THE GOVERNMENT'S MOTIONS** *IN LIMINE*\n\nI, Brendan F. Quigley, declare pursuant to 28 U.S.C. § 1746 and state as follows:\n\n1. I am a partner at the law firm Baker Botts, L.L.P. and counsel for defendant Yanping Wang (\"Defendant\") in this action. I submit this declaration upon my personal knowledge in support of Ms. Wang's pre-trial motions.\n\n2. Attached hereto as Exhibit 1 is a copy of an Order of Protection, dated May 7, 2020 and is filed under seal\n\n3. Attached hereto as Exhibit 2 is a copy of Declaration of \"Witness-1\" and is filed under seal.\n\n4. Attached hereto as Exhibit 3 is copy of an Order dated May 11, 2021 and is filed under seal.\n\nExecuted in New York, New York on this 17<sup>th</sup> day of April, 2024.\n\n*/s/ Brendan F. Quigley* Brendan F. Quigley","body_zh":null,"key_entities":["Yanping Wang"],"ecf_references":[],"word_count":172,"status":"published","published_at":"2020-05-07 00:00:00","created_at":"2020-05-07","updated_at":"2026-07-06 20:52:00"}