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`usnc SDNY
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`Case 1:18-cr-00509-GBD Document 706 Filed 02/18/21 Page 1 of 1
`09-GBD D0cument706 Filed 02/18/21 Pagelofl
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`DOCUMENT
`«am.:
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`g; ELECFRUNICALLY FILED
`2DQC ‘4
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`DATE arr: P‘s"? EM...
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`.........E5
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`RKET EPSTEIN KEARON ALDEA 5. LoTuRco,LLP
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`666 OLD COUNTRY ROAD, SUITE 700
`GARDEN CITY, NEW YORK I
`I 530
`5 I 6.745. I 500 ' IF] 5 I 6.745. I 245
`WWW.BARKETEPSTEIN.COM
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`ADDITIONAL OFFICES:
`EMPIRE STATE BUiLDING, NY. NEW YORK
`HUNTINGTON, NEW YORK
`ALL MAIL To GARDEN CITY ADDRESS
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`February 16, 2021
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`Honorable George B. Daniels
`United States Courthouse
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`New York, NY 10007
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`500 Pearl Street, Room 11A
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`United States v. Maxim Suverin a/k/a “Zhenya, ”S2 18 Cr. 509 (GBD)
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`Dear Judge Daniels:
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`We are counsel for Maxin Suverin and are requesting that February 17, 2021 status
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`conference be adjourned for two weeks to on or about March 17, 2021. We have consulted with
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`the client and anticipate a entering a guilty plea at the next appearance. We have written to the
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`government and they consent to the request. Further, we would consent to the period between
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`tomorrow and the next court appearance to be excluded from the time under the speedy trial act.
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`Thank you for your time and consideration.
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`Respectfully submitted,
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`By:
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`/s/Bruce Barket, Esq.
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`Bruce Barket Esq.
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`Barket Epstein Kearon Aldea & LoTurco, LLP
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`Attorneys for Defendant
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`cc: Via ECF to:
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`AUSA Matthew J. Hellman
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