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Case 1:11-cr-00213-JG Document 11 Filed 05/06/13 Page 1 of 1 PageID #: 25

U.S. Department of Justice

United States Attorney
Eastern District of New York

271 Cadman Plaza East

Brooklyn, New York 11201
May 6, 2013

GMP
F.#2010R01254

By ECF and E-Mail
Sean Hecker, Esq.
Debevoise & Plimpton LLP
919 Third Avenue
New York, New York 10022

Re:

United States v. Genaro Pineda-Rojas
Criminal Docket No. 11-213 (JG)

Dear Mr. Hecker:

Per your request, below please find additional

disclosure regarding the dates on which the defendant in the
above-captioned case made statements, previously produced to you
by letter dated April 1, 2013, as well as the law enforcement
officers to whom he made them.

1.

2.

Bates number 227 to 228: The defendant made these
statements on June 15, 2010 to National Civilian
Police, Division of Anti-Narcotics (“PNC/DAN”) Agent
Mayner Samuel Garcia; and
Bates number 229: The defendant made these statements
on June 29, 2010, to PNC/DAN Sergeant Lazaro Antonio
Sosa and Drug Enforcement Administration Special Agent
Carlos Olivo.
If you have any questions or further requests, please

do not hesitate to contact me.

Very truly yours,
LORETTA E. LYNCH
United States Attorney
Eastern District of New York
/s/
Gina M. Parlovecchio
Assistant U.S. Attorney
(718) 254-6228

By:

cc: Clerk of the Court (By ECF)