`
`Esere J. Onaodowan, Esq.
`eonaodowan@gmail.com c 718.427.3139
`Christine Delince, Esq.
`cdelince@eocdlaw.com c 917.238.9332
`USDC SDNY
`DOCUMENT
`ELECTRONICALLY FILED
`DOC #:
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`
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`4/7/2023
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`DATE FILED:
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`
`Via ECF
`MEMORANDUM ENDORSED
`Hon. Gregory H. Woods
`United States District Court Judge
`Daniel Patrick Moynihan Courthouse
`500 Pearl Street
`New York, NY 10007
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`Re: United States v. David Glover 22 Cr. 522 (GHW)
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`Dear Judge Woods:
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`I represent David Glover in the above referenced indictment. Mr. Glover is currently on home incarceration. In light
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`of the upcoming holiday, Mr. Glover would like to attend church on Easter Sunday, April 9, 2023. The service is from
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`5:30pm to 7pm, and the church, St. Joan of Arc Roman Catholic Church, is located within walking distance of his current
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`residence. I respectfully request that Mr. Glover’s bail conditions be modified to allow him to attend church at that date and
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`time.
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`I have consulted with the government, and they defer to Pretrial. I have consulted with Mr. Glover’s Pretrial officer
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`Jonathan Lettieri, and he has no objection.
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`DATED:
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`NEW YORK, NEW YORK
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`April 7, 2023
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` RESPECTFULLY SUBMITTED,
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`___________________
`
` Christine Delince, Esq.
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`Application granted. The conditions of Mr. Glover's pretrial release are modified as follows: Mr.
`Glover may leave his home to attend Easter services at the time and location indicated above.
`Mr. Glover must travel directly to and return directly from church. No deviations are permitted.
`All other conditions of Mr. Glover's pretrial release remain in full force and effect.
`The Clerk of Court is directed to terminate the motion pending at Dkt. No. 125.
`SO ORDERED.
`Dated: April 7, 2023
`New York, New York
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`100 Church Street, 8th Fl, NY 10007 w eocdlaw.com facebook.com/OnaodowanDelince twitter.com/OandDLaw
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