Case 1:24-cr-00154-ER Document 46 Filed 05/21/24 Page 1 of 1
`
`ROTHMAN, SCHNEIDER, SOLOWAY & STERN, LLP
`Attorneys at Law
`100 Lafayette Street, Suite 501
`New York, NY 10013
`
`Franklin A. Rothman
`Jeremy Schneider
`Robert A. Soloway
`David Stern
`
`Rachel Perillo
`
`By ECF
`The Honorable Edgardo Ramos
`United States District Judge
`Southern District of New York
`40 Foley Square
`New York, New York 10007
`
`Tel: (212) 571-5500
`Fax: (212) 571-5507
`
`May 21, 2024
`
`The application to travel as stated in this letter
`is granted.
`SO ORDERED.
`
`Re: United States v. Cesari, et al,
`Including MIGUEL CINTRON
`24 Cr. 154 (ER)
`
`5/21/2024
`
`Dear Judge Ramos:
`
`I am the attorney for Miguel Cintron, a defendant in the above-named matter. Mr.
`Cintron is on pretrial release with conditions that include travel restricted to the Southern and
`Eastern Districts of New York. This letter is respectfully submitted without objection from the
`government, by AUSA Joseph Rosenberg, and Pretrial Services Officer Evelyn Alvayero, to
`request a temporary bond modification that would permit Mr. Cintron to travel to Allentown,
`Pennsylvania from May 26 to May 27, 2024 to visit his mother for his birthday. If this
`application is granted, Mr. Cintron will be staying overnight at the home of his mother, whose
`name and address has been provided to Pretrial Services.
`
`If the Court has any questions regarding this application please do not hesitate to contact
`
`me.
`
`Respectfully submitted,
`/s/
`Jeremy Schneider
`
`cc:
`
`AUSA Joseph R. Rosenberg (by ECF)
`AUSA Adam Marguiles (by ECF)
`USPTO Evelyn Alvayero (by Email)
`
`

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