Extraction Summary

5
People
2
Organizations
7
Locations
1
Events
4
Relationships
1
Quotes

Document Information

Type: Legal correspondence/motion request
File Size: 126 KB
Summary

This document is a legal letter filed on March 20, 2020, by Montell Figgins, Esq. of The Law Offices of Montell Figgins, LLC to Honorable Analisa Torres. It requests a 14-day extension to file a motion to dismiss for their client, Defendant Michael Thomas, in Case 1:19-cr-00830-AT, citing the impact of the COVID-19 pandemic on their firm's operations and ability to complete the motion.

People (5)

Name Role Context
Montell Figgins Attorney
Attorney for Defendant Michael Thomas, signed the letter
Kenneth E. Brown Associate Attorney
Listed as an associate at Montell Figgins, LLC
Linda Childs Associate Attorney
Listed as an associate at Montell Figgins, LLC
Honorable Analisa Torres Judge
Addressee of the letter, presiding over the case
Michael Thomas Defendant
Client represented by Montell Figgins, LLC in the case

Organizations (2)

Name Type Context
The Law Offices of Montell Figgins, LLC
Law firm sending the letter
U.S. Southern District of NY
Court where Judge Analisa Torres presides

Timeline (1 events)

March 20, 2020
Motion to dismiss was due. Request for a 14-day extension filed due to pandemic impact.
U.S. Southern District of NY

Locations (7)

Location Context
Main office of Montell Figgins, LLC
Branch office of Montell Figgins, LLC
Branch office of Montell Figgins, LLC
Address for U.S. Southern District of NY, Judge Torres's court
Location of main office
Location of branch office
Location of branch office and court

Relationships (4)

Montell Figgins Attorney-Client Michael Thomas
Montell Figgins is the Attorney for Defendant Michael Thomas
Montell Figgins, LLC Legal correspondence recipient Honorable Analisa Torres
Letter addressed to Judge Torres from the law firm
Kenneth E. Brown Associate Attorney Montell Figgins, LLC
Listed as an associate
Linda Childs Associate Attorney Montell Figgins, LLC
Listed as an associate

Key Quotes (1)

"Needless to say, the current events with respect to the pandemic affecting the country, has drastically affected my staff's work hours, as well as my ability to complete this motion while still managing other issues associated with my business and my family."
Source
029.pdf
Quote #1

Full Extracted Text

Complete text extracted from the document (1,430 characters)

Case 1:19-cr-00830-AT
Document 29 Filed 03/20/20
The Law Offices of
Page 1 of 1
MONTELL FIGGINS, LLC
140 East Ridgewood Avenue
Paramus, NJ 07640
Reply to Newark Office [X]
17 Academy Street, Suite 305
Newark, New Jersey 07102
Phone: (973) 242-4700
Fax: (973) 242-4701
www.figginslaw.com
BRANCH OFFICES:
30 Wall Street 8th Floor
New York, NY 1005
ASSOCIATES
Kenneth E. Brown, Esq.
Linda Childs, Esq.
SENT VIA ECF
Honorable Analisa Torres
U.S. Southern District of NY
500 Pearl Street
New York, NY 10007
March 20, 2020
Dear Judge Torres:
Re:
State of NY v Michael Thomas, et al.
Docket No.: 1:19-cr-00830
Request Extension to File Motion
As you are aware, our firm represents the Defendant, Michael Thomas, in the above-
captioned matter. Pursuant to Your Honor's Order, our firm's motion to dismiss was due today,
March 20, 2020, however, we are requesting a fourteen (14) day extension in which to file our
motion. Needless to say, the current events with respect to the pandemic affecting the country,
has drastically affected my staff's work hours, as well as my ability to complete this motion
while still managing other issues associated with my business and my family.
In light of the foregoing, the Defendants, by and through the undersigned, respectfully
requests a 14 day extension to file its motion to dismiss.
Respectfully submitted,
/s/ Montell Figgins
Montell Figgins, Esq.
Attorney for Defendant Michael Thomas
MF/sf

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