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Case 1:11-cr-00062-PAC Document 484 Filed 10/03/16 Page 1 of 1

Law Office of

DAVID GOUREVITCH, P.C.


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October 3, 2016
VIA ECF
The Honorable Paul A. Crotty
United States District Judge
Southern District of New York
500 Pearl Street
New York, New York 10007-1312
Re:

United States v. Dwayne Bigelow


Docket No. 1:11-cr-00062 (PAC)

Dear Judge Crotty:


On behalf of Defendant Dwayne Bigelow, I write to request a modification of his bail
conditions to permit travel to Canada to visit family and for business, with prior written consent
of the U.S. Attorneys Office and in the absence of an objection from Pretrial Services. Mr.
Bigelow will advise the Office in advance of the dates and itinerary of planned trips, as well as
provide contact information. If and after the U.S. Attorneys Office consents to the trip, Pretrial
Services will return Mr. Bigelows passport to him; and Mr. Bigelow will return it back to Pretrial
Services on his return to the United States.
Thank you for your consideration regarding this request.
Respectfully Submitted,

David U. Gourevitch
Law Offices of David Gourevitch, P.C.
Attorneys for Defendant Bigelow
Cc:

Assistant United States Attorney Howard Master (by e-mail)


U.S. Pretrial Services Officer (by e-mail)