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Rolando Cribeiro Order
1. Case 3:13-cr-00338-PGS Document 11 Filed 12/17/13 Page 1 of 2 PageID: 35
FERRO LABELLA
S
ZUCKER L.L.C.
COUNSELLORS AT LAW
THE LANDMARK BUILDING
27 WARREN STREET, SUITE 201
HACKENSACK, N.J. 07601-5476
(201) 489-9110
FAX (201) 489-5653
PLEASE REPLY TO N.J. OFFICE
ARTHUR P. ZUCKER
azucker@ferrolabella.com
DEC 17 2013
1025 WESTCHESTER AVENUE, SUITE 106
WHITE PLAINS, N.Y. 10604-3538
(914) 358-4934
FAX (914) 358-4935
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· - illf/LSH CLERK
December 17, 2013
VIA ECF
The Honorable Peter G. Sheridan
United States District Judge
Clarkson S. Fisher Building & U.S. Courthouse
402 East State Street Room 2020
Trenton, NJ 08608
Re:
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DATED: fl- 17 ( I.I
United States v. Rolando Cribeiro
Docket No. 13-00338-001 (PGS)
Dear Judge Sheridan:
~~
'
This firm represents Rolando Cribeiro.
As Your Honor will
recall, Mr. Cribeiro is scheduled to voluntarily surrender and to
begin service of his five· month sentence on Monday, January 6,
2014.
Mr. Cribeiro lives with his mother and father. Mr. Cribeiro
has been assisting his mother deal with a health issue which
recently became more serious. Mr. Cribeiro takes his mother to
most of her medical appointments and assists her in interacting
with her medical providers.
The purpose of this letter is to
request that the Court consider extending Mr. Cribeiro's voluntary
surrender date for six weeks, until mid February 2014, to allow
him to continue to assist his mother while her doctors . determine
---the--be.s~t-c.our~s~e____ o_Lt_r__e_a_t_m_en_t__gj._yen the recent change in events.
--------------~----------~---------~--------------------h--.
Based upon my conversation with the Assistant United States
Attorney assigned to this matter, Vikas Khanna, Esq., I understand
tha·t - ·the -·government- doe-s- not-- oppose-- this--- request . pr.ovidecL .that
Pretrial Services concurs.
Based upon my conversation with
Pretrial Services, I believe that they also do not oppose Mr.
Cribeiro's request to extend the voluntary surrender date.
2. Case 3:13-cr-00338-PGS Document 11 Filed 12/17/13 Page 2 of 2 PageID: 36
The Honorable Peter G. Sheridan
December 17, 2013
Page 2
I
I am available if Your Honor has any questions regarding this
correspondence or would like more detailed information regarding
Mrs. Cribeiro health condition.
Respectfully submitted,
/s/ Arthur P. Zucker
Arthur P. Zucker
APZ/sam
cc:
Vikas Khanna, Assistant United States Attorney
(via email: vikas.khanna@usdoj.gov and regular mail)
Dana Hafner, Probation Officer
(via email: dana hafner@njp.uscourts.gov and regular mail)
Richard Antonison, Pretrial Services
(via email: Richard Antonison@njpt.uscourts.gov and Regular Mail)