`Case 1:18-cr-00905-LTS Document 143 Filed 06/09/20 Page 1 of 1Case 1:18-cr-00905-LTS Document 144 Filed 06/09/20 Page 1 of 1
`LAW OFFICES
`CHRISTOPHER MADIOU
`
`WOOLWORTH BUILDING
`233 BROADWAY – SUITE 2208
`NEW YORK, NY 10279
`
`P (917) 408 - 6484
`F (212) 571 - 9149
` CHRIS@MADIOULAW.COM
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`
`Hon. Laura Taylor Swain
`United States District Judge
`Daniel Patrick Moynihan
`United States Courthouse
`500 Pearl St.
`New York, NY 10007
`By ECF
`
`June 9, 2020
`
`MEMO ENDORSED
`
`Re: United States v. Jian Feng Wu, 18 Cr. 905 (LTS)
`
`Dear Judge Swain,
`
`I represent Jian Feng Wu in the above-captioned case. I write with consent from the
`government to request at least a three-month adjournment of Mr. Wu’s sentencing, which is
`currently scheduled to take place on July 16, 2020 at 11:00am.
`
`Mr. Wu has been released on bail conditions since his arrest without issue. Since the
`outset of the Covid-19 pandemic, counsel has had limited and insufficient access to Mr. Wu, who
`requires a Fuzhou interpreter in order to confer with counsel. The lack of access to Mr. Wu
`during the most critical phase of his case prevents counsel from being adequately prepared for
`his upcoming sentencing. Defense counsel also requires this adjournment to assist Mr. Wu with
`obtaining immigration advice and assistance.
`
`Therefore, I respectfully request that the Court adjourn Mr. Wu’s sentencing for at least
`three months from July 16, 2020 to adequately assure counsel’s effective assistance at
`sentencing.
`
`Thank you in advance for your consideration.
`
`Sincerely,
`
`Christopher Madiou
`
`Cc: AUSA Elizabeth Espinosa (via ECF)
`
`The sentencing is adjourned to November 5, 2020, at 2:00 p.m.
`DE# 143 resolved.
`SO ORDERED.
`6/9/2020
`/s/ Laura Taylor Swain, USDJ
`
`