People v. Delitta

2022 NY Slip Op 34777(U)
CourtNew York County Court, Westchester County
DecidedApril 26, 2022
DocketIndictment No. 70240-21
StatusUnpublished

This text of 2022 NY Slip Op 34777(U) (People v. Delitta) is published on Counsel Stack Legal Research, covering New York County Court, Westchester County primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
People v. Delitta, 2022 NY Slip Op 34777(U) (N.Y. Super. Ct. 2022).

Opinion

People v Delitta 2022 NY Slip Op 34777(U) April 26, 2022 County Court, Westchester County Docket Number: Indictment No. 70240-21 Judge: Robert J. Prisco Cases posted with a "30000" identifier, i.e., 2013 NY Slip Op 30001(U), are republished from various New York State and local government sources, including the New York State Unified Court System's eCourts Service. This opinion is uncorrected and not selected for official publication. FILED COUNTY COURT: STATE OF NEW YORK COUNTY OF WESTCHESTER APR 2i 2022- ---------------------------------- .-------------------------------x TIMOlliY C, fDONI THE PEOPLE OF THE STATE OF NEW YORK COUNTY a.ERi( ,COUNIYOF WESfiatE.l~l-1.....- -against- DECISION & ORDER

LAURIEANNE_ DELITT A, Indictment No: 70240-21 Defendant. _______________________ :_ __!__________________ ----------------------x

ROBERT J. PRISCO, J. Lcq ~-# t li ~+iI Defendant LAURIEANNE DELITTA is charged by Indictment Number 70240-21 with eight counts of Grand Larceny in the Second Degree pursuant to Penal Law [PL] § 155.40 (1) [Counts One through Eight] and two counts of Unauthorized Practice of a Profession pursuant to New York Educ1;ttion Law§ 6512 (1) [Counts Nine and Ten]. Counts One through Eight pertain to Defendant's alleged misappropriation of funds from eight (8) clients whom she represented, the value of each fund ex'ceeding :fifty thousand dollars, by transferring such funds into business and personal accounts under the defendant's control, during an aggr~gate time period of January 20, 2017 through March 22, 2021. Counts Nine and Ten pertain to Defendant's alleged practice, offer to practice, and holding herself out as being able to practice law, without a license to do so, from December 6, 2020 through December 10, 2020 and from January 27, 2021 through February 5, 2021. On November 10, 2021, Defendant was arraigned by the Honorable David S. Zuckerman on the charges contained in Indictment Number 70240-21. Attached to the indictment is the People's Demand.for a Notice of Alibi pursuant to CPL§ 250.20. On December 9, 2021, the People filed a Certificate of Compliance I pursuant to CPL § 245.50 (1), which includes a "Statement of Readiness," wherein the People confirmed and announced their readiness· for trial "on all counts charged." Attached to the Certificate of Compliance is a copy of the People's Discovery Disclosure.Index pursuant to CPL §§ 245.20 and

1 While the Certificate of Compliance and Discovery Disciosure Index attached thereto are labeled as "Supplemental," such was done in error (see.Page 6 of the People's Affirmation in Opposition).

[* 1] 245.50, and Discovery Package Transmittal Notices from the Westchester County Di5trict Attorney's Office. On December 10, 2021, the People filed a Supplemental Certificate of Compliance pursuant to CPL §§ 245.50 (1) and 245.60, wherein the People again confirmed and announced their readiness for trial "on all counts cnarged in this matter." Attached to the Supplemental Certificate of Compliance is a copy of the People's Supplemental Discovery Disclosure Index pursuant to CPL §§245.20 and 245.50, which includes additional disclosures. 2 On January .12, 2022, the People filed a second Supplemental Certificate-of Compliance pursuant to CPL §§ 245.50 (1) and 245.60. 3 Attached to the ·second Supplemental Certificate of Compliance is a copy of the People's second Supplemental Discovery Disclosure Index pursuant to CPL §§ 245.20 and 245.50, and two (2) Discovery Package Transmittal Notices from the. Westchester County District Attorney's Office ·pertaining to the transmittal of "Grand Jury Minutes" to defense counsel. On or about March 17, 2022, Defendant filed a "Notice of Omnibus Motion" (hereinafter "Notice of Motion") and an Affirmation in Support of Omnibus Motion (hereinafter "Affirmation in Support"), seeking various forms of judicial intervention and relief. On April 4, 2022, the People filed an Affirmation in Opposition and a Memorandum of Law. The Court has also been provided with unredacted certified copies of the stenographic transcripts of the October 21, 26, and ~ovember 4,· 2021 Grand Jury proceedings, along with copies of the Grand Jury Exhibits. After consideration of the above referenced submissions and the unredacted certified stenographic transcripts of the Octobe·r 21, 26, and November 4, 2021 Grand Jury proceedings, the Court decides Defendant's Motion as follows:

. . 2 - The disclosures include an "[e]xcel file authored by· M. Frenza" and a "PDF authored by M. Frenza, titled: 'Laurieanne Delitta Witness Activity."'

3 Within the second Supplemental Certificate of Compliance, the People confirmed and announced their readiness for

trial "on all counts charged in this matter."

[* 2] 1. DEMAND TO PRODUCE; REQUEST FQR BILL OF PARTICULARS. Citing repealed CPL§ 240.20, 4 Defendant moves for discovery and provides~ list of items; property and information that she is seeking, which includes a request for materials pursuant to Brady v Maryland, 37·3 US 83_(1963), and Giglio v United States, 405 US 150 (1972) (see Point II, Page 1, of Defendant's Notice of Motion and Point II, Pages 4:..14, of Defendant's Affirmation in Support). Citing CPL § 200.95, Defendant also "requests that the prosecutor serve upon [Defendant and her] counsel, within 15 days of the service of this motion, a Bill of Particulars," contending that "[w]ithout this information, the defendant·can neither properly understand the charges brought against [her] nor prepare or conduct an adequate defense" (see Point I, Pages 2-3, of Defendant's Affirmation in Support and Point I, Page 1, of Defendant's Notice of Motion). If the People fail or refuse to comply with such request, Defendant moves "for an Order pursuant to C.P.L. § 200.95 (5), directing such compliance, or alternatively, for an Order pursuant to C.P.L. 240.70 (1), prohibiting the introduction into _evidence upon the ~rial of this matter ·any testimony or other evidence concerning the factual information requested in the [r]equest" (see Point I, Page 3, of Defendant's Affirmation in Support). In response, the People _assert that "Defendant's motion for further discovery should be denied to the extent it exceeds CPL Article 245" (see. Point II, Page 2, of the People's Memorandum of Law). The People further submit that "[a]ny motion by defendant for discovery within the parameters of CPL Article 245 is moot because, to the extent such.material exists and is in [the] possession or control of the People, it has or will be provided to defendant" (see Point II, Page 2, of the People's Memorandum of Law). Additionally, the People contend that; "Defendant's motion for a bill of particulars should be denied" because they "never received any request from defendant" (see Point I, Page 1, of the People's Memorandum of Law). Additionally, the People aver that "[t]o the extent defendant's inotion can [be] viewed as a request, it is untimely" 'and that given the amount of discovery Defendant has received, such request is "also unnecessary, as defendant has more than adequate information to conduct a defense" (see Point I, Page 1, of the People's Memorandum of Law).

4 This portion of Defendant's motion is interpreted as being brought pursuant to CPL Article 245, which replaced CPL Article 240, effective January I, 2020.

[* 3] Pursuant to CPL § 245.50 (1), the People served and filed a Certific~te of Compli~nce dated December 9, 2021, with a Discovery Disclosure Index and Discovery Package Transmittal· Notices identifying the material and information that was provided and made available to Defendant.

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Bluebook (online)
2022 NY Slip Op 34777(U), Counsel Stack Legal Research, https://law.counselstack.com/opinion/people-v-delitta-nywestchcty-2022.