---
type: court_doc
id: "court_sdny_828_0"
court: "SDNY"
case_no: ""
doc_number: 828
doc_type: "DOC"
filed_date: "2026-03-30"
lang: "zh"
url: "https://mubeitech.com/court/court_sdny_828_0"
json_url: "https://mubeitech.com/api/court/court_sdny_828_0"
---
# SDNY ECF 828



> 原始法庭文件为英文；下方为英文全文，顶部为中文摘要。

029S-NY-3269901_0
000618_Import.docx \

March 30, 2026
BY ECF
Hon. Analisa Torres
Daniel Patrick Moynihan
United States Courthouse
500 Pearl St.
New York, NY 10007-1312

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

Dear Judge Torres:

The Government writes in response to the Court’s order, dated March 18, 2026, dkt. 820,
and in response to the defendant’s letter, filed today, dkt 827. The Government does not object to
the Special Master candidates proposed by the defense.1 However, as previously indicated, the
Government is not aware of a source of funding to pay for a Special Master’s services.

The Government is available to address any questions that the Court may have.

Respectfully submitted,

SEAN S. BUCKLEY

Attorney for the United States, Acting Under
Authority Conferred by 28 U.S.C. § 515
Southern District of New York

By:
___________________________
Micah F. Fergenson

Ryan B. Finkel
Justin Horton
Juliana N. Murray

Assistant United States Attorneys

(212) 637–6612/2314/2190/2276

1 Consistent with the parties’ February 10, 2026 filing, dkt. 802 n.5, the Government’s position is
that the defendant is not entitled to participate in any in forfeiture-related litigation regarding
specific property because he has not asserted a personal interest in any of that property. Dkt. 799
at 1 (“Mr. Guo reconfirms here that he does not assert a personal interest in the Specific
Property.”).

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
/s/