---
type: court_doc
id: "court_sdny_824_0"
court: "SDNY"
case_no: ""
doc_number: 824
doc_type: "DOC"
filed_date: "2026-03-24"
lang: "zh"
url: "https://mubeitech.com/court/court_sdny_824_0"
json_url: "https://mubeitech.com/api/court/court_sdny_824_0"
---
# SDNY ECF 824



> 原始法庭文件为英文；下方为英文全文，顶部为中文摘要。

[Type text]

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March 24, 2026

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

Re:
United States v. Miles Guo, S3 23 Cr. 118 (AT)

Dear Judge Torres:

The Government respectfully writes to request that the Court extend the Government’s
deadline for its sentencing submission to April 7, 2026.

The Government’s submission is currently due March 27, 2026. On March 20, 2026,
following numerous adjournments requested by the defendant, the defendant filed a sentencing
submission in excess of 100 pages. On March 23, 2026, the Court granted the defendant’s request
for a Rule 17 subpoena, and directed that the defendant supplement his sentencing submission,
with any materials acquired as a result of that subpoena, by April 3, 2026.

In light of the supplemental briefing schedule, and to appropriately respond to the
defendant’s voluminous sentencing submission, the Government requests that it be permitted to
file its sentencing submission on April 7, 2026—the date the Government’s supplemental
submission is presently due. This proposal would also limit the number of filings for the Court’s
review and enable a more efficient consideration of the materials in advance of sentencing. Under
this proposed schedule, the Court would continue to have approximately three weeks to review the
parties’ submissions in advance of the April 27, 2026 sentencing date.

The Jacob K. Javits Federal Building

26 Federal Plaza, 37th Floor

New York, New York 10278
U.S. Department of Justice
United States Attorney
Southern District of New York

---

Accordingly, the Government requests that its sentencing submission be due by April 7,
2026.  The Government seeks no other changes to the sentencing schedule.

Respectfully submitted,

SEAN S. BUCKLEY

Attorney for the United States

Acting Under Authority Conferred by 28 U.S.C. § 515.

by:
/s/

Micah F. Fergenson
Ryan B. Finkel
Justin Horton
Juliana N. Murray
Assistant United States Attorneys
(212) 637-2190 / 6612 / 2276 / 2314

cc:
Counsel of Record (by ECF)