法庭文件 · 2026-03-30 · 1 页 · United States District Court · S.D.N.Y.
摘要
Government Letter · Position on Special Master Candidates
This one-page letter, dated March 30, 2026 from Assistant U.S. Attorneys Micah F. Fergenson, Ryan B. Finkel, Justin Horton, and Juliana N. Murray (under the authority of Sean S. Buckley, Attorney for the United States), responds to the Court's March 18, 2026 order at Dkt. 820 and to the defendant's same-day letter at Dkt. 827 in United States v. Miles Guo, S3 23 Cr. 118 (AT).
Position on Defense's Proposed Candidates
The government does not object to the Special Master candidates proposed by the defense (former Southern District of New York judges Hon. Barbara S. Jones and Hon. Shira A. Scheindlin, per case-doc-827).
Funding Concern
The government repeats its previously indicated concern that it is not aware of a source of funding to pay for a Special Master's services.
Footnote on Forfeiture Participation
A footnote, citing the parties' February 10, 2026 filing at Dkt. 802 n.5, reiterates the government's position that the defendant is not entitled to participate in any forfeiture-related litigation regarding specific property because he has not asserted a personal interest in any of that property (citing Dkt. 799 at 1: "Mr. Guo reconfirms here that he does not assert a personal interest in the Specific Property.").