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Case 1:11-cr-00062-PAC Document 462 Filed 03/02/16 Page 1 of 1

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March 2, 2016
VIA ECF
The Honorable Paul A. Crotty
United States District Judge
Southern District of New York
500 Pearl Street
New York, New York 10007-1312
Re:

United States v. Dwayne Bigelow


Docket No. 1:11-cr-00062 (PAC)

Dear Judge Crotty:


I represent Defendant Dwayne Bigelow, a defendant in the above-entitled matter, and I
write to request permission for Mr. Bigelow to travel outside the geographic area set as a condition
of his bail. Mr. Bigelow would like to travel to Dartmouth, Nova Scotia, Canada for the funeral of
his Aunt Lillian Marie (Brawn) Kennie from March 23, 2016 through March 26, 2016. If Your
honor, grants this request and as a part of the bail modification, Mr. Bigelow respectfully request
the return of his passport on Tuesday, March 22, 2016, on the condition that he promptly returns
it to pretrial services the business day after he returns.
We have discussed this with the U.S. Attorney's Office and Pretrial Services and they
consent to this request to modify Mr. Bigelows bail conditions.
Thank you for your consideration regarding this request.
Respectfully Submitted,

David U. Gourevitch
Law Offices of David Gourevitch, P.C.
Attorneys for Defendant Bigelow
Cc:

Assistant United States Attorney Howard Master (by e-mail)


U.S. Pretrial Services Officer (by e-mail)

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