{"id":"court_sdny_479_0","court":"SDNY","case_no":"23-cr-00118","doc_number":479,"sub_number":0,"doc_type":"LETTER","filed_date":null,"title":"24 Page 1 of ![](_page_0_Picture_3.jpeg)","summary_zh":null,"summary_en":null,"body_en":"24 Page 1 of\n\n![](_page_0_Picture_3.jpeg)\n\n30 ROCKEFELLER PLAZA NEW YORK, NEW YORK 10112-4498\n\nTEL +1 212.408.2500 FAX +1 212.408.2501 BakerBotts.com\n\nAUSTIN BRUSSELS DALLAS DUBAI HOUSTON LONDON\n\nNEW YORK PALO ALTO RIYADH SAN FRANCISCO SINGAPORE WASHINGTON\n\nNovember 26, 2024\n\nThe Honorable Analisa Torres United States District Judge Southern District of New York 500 Pearl Street New York, NY 10007\n\nBrendan F. Quigley TEL: 2124082520 FAX: 2122592520 brendan.quigley@bakerbotts.com\n\nRe: *United States v. Yanping Wang*, 23 Cr. 118-3 (AT)\n\nDear Judge Torres:\n\nWe represent Yanping Wang in the above referenced matter and write to request a brief adjournment of Ms. Wang's sentencing, currently scheduled for Monday, December 2. As the Court is aware, on the afternoon of Friday, November 22, the government filed over 400 pages of victim impact statements. We were only able to discuss the statements, including certain factual assertions made therein which do not appear in the PSR, with Ms. Wang today and require additional time to conduct further investigation of certain issues.\n\nThe government, which has asked us to note that it is sensitive to victims' rights to be heard at the sentencing proceeding, has no objection to a brief adjournment to December 11, 12, or 13, with a preference for December 13.\n\nWe thank the Court for its consideration.\n\nRespectfully submitted,\n\n*/s/ Brendan F. Quigley*  Brendan F. Quigley","body_zh":null,"key_entities":["Yanping Wang","Torres","Je","Analisa Torres"],"ecf_references":[],"word_count":220,"status":"published","published_at":null,"created_at":null,"updated_at":"2026-07-06 20:52:43"}