Miles Guo Court Documents · Doc 327
DECLARATION of Daniel J. Pohlman in Opposition as to Miles Guo re: 272 MOTION to Exclude Testimony of Defendant’s Expert Witnesses / (中文) 327-1 Exhibit A Dragon Initial Disclosure
摘要
Pohlman Declaration · Supporting Expert Exclusion Opposition
This two-page filing, dated May 3, 2024 from Daniel J. Pohlman of Pryor Cashman LLP, is the declaration accompanying Mr. Guo's opposition to the government's renewed motion in limine to exclude expert testimony in United States v. Miles Guo, 1:23-CR-118-1 (AT). The filing is partially under seal.
Declarant
Daniel J. Pohlman declares pursuant to 28 U.S.C. § 1746 that:
- He is an attorney at Pryor Cashman LLP and counsel for Mr. Guo;
- He submits the declaration in opposition to the government's Renewed Motion In Limine To Exclude the Testimony of Defendant's Expert Witnesses (Dkt. Nos. 272, 322).
Exhibit A — Dragon Initial Disclosure
The declaration transmits the initial expert disclosure of Raymond J. Dragon (case-doc-327-1) as Exhibit A. The disclosure details Mr. Dragon's professional qualifications, the valuation methods Mr. Dragon proposes to use, the materials Mr. Dragon has reviewed, and the substantive opinions he would offer at trial about the GTV private placement valuation.