Peter Gotti Compassionate Release Motion
Peter Gotti Compassionate Release Motion
Peter Gotti Compassionate Release Motion
The defendant Peter Gotti, by his counsel, respectfully shows the Court
pursuant to the First Step Act of December 21, 2018, 132 Stat. 5194, 18 U.S.C.
1. The defendant on July 29, 2005 was sentenced to a term of 300 months. He
2. He has been in custody in this case since June 4, 2002. As of July 4, 2019,
with BOP good time, he will have served 235.5 months. His BOP release
3. Peter Gotti has the following serious medical conditions, documented by his
BOP medical records and by records of the Duke University Medical Center
C. Atrial fibrillation
F. Arterial hypertension
1
Case 1:02-cr-00743-CM Document 412 Filed 06/28/19 Page 2 of 7
G. Hypothyroidism
H. Cardiac arrhythmia
L. Gout
M. Osteoarthritis
N. Gastric reflux
O. Bilateral glaucoma
P. Rheumatoid arthritis
Q. Hyperlipidemia
R. Enlarged prostate
T. Hearing loss
U. Borderline anemia
4. Under the actuarial tables in Section 8-46 of the General Statutes of North
Carolina, Peter Gotti has a life expectancy of 9.5 years. His medical
Seventeen years of prison have taken a toll on him. The health of his heart
and lungs has deteriorated markedly in recent years. His vital organs have
chance that he may have had to recover from his conditions. He is taking
2
Case 1:02-cr-00743-CM Document 412 Filed 06/28/19 Page 3 of 7
of failure. His heart health is very poor, highlighted by poor cardiac ejection
functionality.
5. Peter Gotti is 79 years old, born November 15, 1939. He is certainly long
out of warranty. No life insurance agent in his right mind would sell him a
policy, given all his serious medical issues. Keeping him incarcerated at this
in the BOP system, and surely the cost is higher for Peter Gotti in a federal
USPO is $364 a month, likely less for Peter Gotti. When the time comes,
6. In hindsight Peter Gotti made a terrible mistake in going to trial rather than
pleading, and that mistake cost him significantly in the length of his
would in no way minimize the severity of his offense, nor endanger anyone
62 year old who committed the offenses in this case and in the case in the
Eastern District of New York, nor does he in any way deny his guilt or
responsibility. Being incarcerated now for 17 years plus has caused him to
reevaluate his thinking and reconsider his moral values. No longer does he
try to justify his actions or defend the choices he made that brought him to
prison. He wants now to tell anyone who will listen that there is truly zero
3
Case 1:02-cr-00743-CM Document 412 Filed 06/28/19 Page 4 of 7
members, and he wants to spend the balance of his life making amends as
best he can. He also wants to help others not make the life mistakes he
made.
8. Upon release, Peter Gotti will live with his daughter, Diane Pietrofeso, at
8907 157th Avenue, Howard Beach, New York-11414. She and his son,
Peter Gotti Jr., who also lives in Howard Beach, will be his primary
insurance.
9. Social workers at FMC Butner are assisting Peter Gotti with release
planning.
10. All administrative remedies for seeking compassionate release directly from
11. Peter Gotti clearly meets the BOP standards, set out in Policy Statements
condition.
12. The factors set out in 18 U.S.C. 3553(a) will, in this instance, be satisfied by
record prior to this case and the case in the Eastern District of New York at
4
Case 1:02-cr-00743-CM Document 412 Filed 06/28/19 Page 5 of 7
age 62. He has zero interest in reoffending and is instead focused on keeping
13. Kevin Zeich was granted compassionate release, but died at FMC Butner
before he could fly home to California, United States v. Zeich, No. 1:93 CR
5217 (E.D. California). Judge O’Neill in Fresno helped in lobbying the BOP
for Zeich’s release, twice calling the General Counsel in an attempt to speed
the process up. As did Judge Fuste in San Juan, in United States v.
Olivera, No. 3:13 CR 111 (D. Puerto Rico), in which Edmundo Olivera died at
FMC Butner before he could get to the airport. And, in United States v.
Cheatham, No. 3:06 CR 95 (E.D. Tennessee), the first such case under the
First Step Act, Judge Varnam in Knoxville ordered the release of Steven
Cheatham on January 31, 2019. Chetham though died later that day at
FMC Butner, unaware he was a free man. These are the scenarios we do
not want to see in this case. Decisions about sentencing “[should] not be
prosecution.” Sester v. United States, No. 566 U.S. 231, 132 S.Ct. 1463, 182
L.Ed.2d 455 (2012). This Court, not the Government, must evaluate the 18
United States v. Garcia, No. 2:11 CR 935 (C.D. California) was a case very similar to
this one, as are United States v. Evans, No. 4:15 CR 15 (S.D. Texas), United States v.
Adams, No. 4:09 CR 115-3 (N.D. Texas), United States v. Leggitt, No. 4:12 CR 306-6
(E.D. Arkansas), United States v. McGraw, No. 2:02 CR 18 (SD Indiana), United States
v. Bakowski, No. 8:09 CR 491 (MD Fla), United States v. Brittner, No. 9:16 CR 15 (D.
5
Case 1:02-cr-00743-CM Document 412 Filed 06/28/19 Page 6 of 7
14. There is, we submit, every good reason to grant this motion expeditiously,
15. Upon release, Peter Gotti will be under the supervision of a USPO in the
Eastern District of New York for the term of supervised release ordered in
WHEREFORE, pursuant to the First Step Act of December 21, 2018, 132 Stat.
5194 and 18 U.S.C. 3582(c)(1)(A)(i) as amended, the defendant Peter Gotti, by his
his daughter, Diane Pietrofeso, in Howard Beach, New York under the
supervision of the USPO for this Court for the term of supervised
2. For such other and further relief as the Court may deem just and
equitable
Respectfully submitted,
6
Case 1:02-cr-00743-CM Document 412 Filed 06/28/19 Page 7 of 7
CERTIFICATE OF SERVICE