Opinion
07 CR 258 (SJ).
April 30, 2008
UNITED STATES ATTORNEY, Benton J. Campbell, United States Attorney, Brooklyn, New York, By: Valerie Tocci, Esq., Attorney for Plaintiff.
FEDERAL DEFENDERS OF NEW YORK, INC., Brooklyn, NY, By: Michael D. Weil, Esq., Attorney for Defendant.
MEMORANDUM AND ORDER
Presently before the Court, is a letter request petitioning the Court to direct the Probation Department to release to defense counsel, any documents or information it has obtained about defendant Brian Esterine's ("Defendant") criminal record. Specifically, defense counsel requires additional information about Defendant's prior convictions, which are discussed in the pre-sentencing report, in order to adequately prepare for Defendant's sentencing.
Therefore, this Court orders the Probation Department to release to defense counsel, any documents or information it has obtained about Defendant Esterine's criminal record.
SO ORDERED.