`
`tkasulis@maglaw.com
`(212) 880-9555
`January 29, 2025
`
`Via ECF
`The Honorable Gregory H. Woods
`United States District Court
`Southern District of New York
`Daniel Patrick Moynihan United States Courthouse
`500 Pearl Street, Courtroom 12C
`New York, NY 10007
`
`1/30/2025
`
`Re: United States v. Alvin Eusebio, No. 22 cr. 522 (GHW)
`
`Dear Judge Woods:
`
`We represent Alvin Eusebio in the above-captioned matter. Mr. Eusebio is currently
`scheduled to be sentenced before Your Honor on February 19, 2025. We write to respectfully
`request a brief adjournment of Mr. Eusebio’s sentencing and all associated deadlines. The
`parties are available during the week of February 24, 2025, except for February 24 and 26, 2025.
`The purpose of this request is to provide additional time to collect and translate letters of support.
`
`The government consents to this request, and there have been no previous requests for an
`extension.
`
`Respectfully submitted,
`/s/ Telemachus P. Kasulis
`Telemachus P. Kasulis
`Peter Menz
`
`Cc: Ashley Nicolas, Esq. (via email)
`Andrew Jones, Esq. (via email)
`Benjamin Burkett, Esq. (via email)
`Application granted in part. The sentencing hearing previously scheduled for February 19, 2025 at 11:00 a.m. is
`adjourned to March 3, 2025 at 11:00 a.m. The defendant’s sentencing submissions are due no later than February 10,
`2025; the Government’s sentencing submissions are due no later than February 17, 2025.
`The Clerk of Court is directed to terminate the motion pending at Dkt. No. 712.
`SO ORDERED.
`Dated: January 30, 2025
`New York, New York
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`MEMORANDUM ENDORSED
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`USDC SDNY
`DOCUMENT
`ELECTRONICALLY FILED
`DOC #:
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`DATE FILED:
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`_____________________________________
` GREGORY H. WOODS
` United States District Judge
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