`
`THE LAW OFFICE OF JEFF CHABROWE
`521 Fifth Avenue, 17th Floor New York, NY 10175 | Tel. 917.529.3921| F 914.462.3637
`
`January 2, 2025
`
`BY EMAIL – REQUEST EXPEDITED RESPONSE
`
`Hon. Loretta A. Preska
`United States District Court
` Southern District of New York
`40 Foley Sq
`New York, NY 10007
`
`Re: U.S. v. Adedayo John, Case No. 1:21-cr-00609-LAP-1
` Letter Motion to Permit Removal of Defendant Ankle Bracelet
`
`Dear Judge Preska:
`
`My client, Mr. Adedayo John, is due to self-surrender tomorrow in Louisiana. He is at
`this moment in Texas and is supervised by Texas Pre-Trial Services. Under his terms of pre-trial
`release, he wears an ankle bracelet. Texas Pre-Trial Services wants to be able to remove his
`ankle bracelet before Mr. John self-surrenders, but they need a court order to do so. Texas Pre-
`Trial Services advises it would be an order permitting removal of the ankle bracelet within 24
`hours of self-surrender. They further advise they have been trying to obtain an order for the last
`several months but have been unable to obtain it. They hope to retrieve the bracelet as the items
`are quite expensive; if the BoP facility removes it, it will simply be thrown away at taxpayer
`expense.
`
`Sincerely,
`
`Based on the above, Mr. John requests an immediate order permitting removal of his
`ankle bracelet within 24 hours of self-surrender. Thank you.
`Mr. John's request is GRANTED. The
`Court hereby orders that Mr. John
`be permitted to remove his ankle
`bracelet within 24 hours of his
`self-surrender. The Court of the
`Court shall mark docket entry
`number 523 as closed.
`SO ORDERED.
`cc: Matthew Weinberg, Esq.
` Christopher Noe (Texas Pre-Trial Services, Christian_noe@txsp.uscourts.gov)
`Dated: January 2, 2025
`___________________________
`LORETTA A. PRESKA, U.S.D.J.
`
`JEFFREY CHABROWE, ESQ.
`LAW OFFICES OF JEFFREY CHABROWE
`521 Fifth Avenue, 17th Floor
`New York, NY 10175
`(917) 529-3921
`Counsel for Adedayo John
`
`