Epstein Project

EFTA00021425.pdf

Type
pdf
Source set
data-set-8

Original source

Extracted text

Case 1:19-cr-00490-RMB Document 15 Filed 07/15/19 Page 1 of 1 
U.S. Department of Justice 
United States Attorney 
Southern District of New York 
VIA ECF 
The Honorable Richard M. Berman 
United States District Court 
Southern District of New York 
United States Courthouse 
July 15, 2019 
Re: 
United States v. Jeffrey Epstein, 19 Cr. 490 (RMB) 
Dear Judge Berman: 
The Government submits this letter respectfully to request the exclusion of speedy trial 
time between July 15, 2019, and July 18, 2019, the date of the next conference in the above-
captioned case, in the interests of justice and pursuant to 18 U.S.C. § 3161(h)(7)(A) and (B). I 
have conferred with defense counsel, who consent to this request. 
By: 
Very truly yours, 
GEOF REY S. BERMAN 
United tates Attorney 
Assistant United States Attorney 
Southern District of New York 
Cc: 
Martin Weinberg, Esq., and Reid Weingarten, Esq., counsel for defendant 
EFTA00021425

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