Case 3:00-cr-00263-JCH Document 1901 Filed 05/27/2008 Page 1 of 2
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF CONNECTICUT
UNITED STATES OF AMERICA, Criminal No. 3:00CR—263(JCH)
Plaintiff,
v.
TERRANCE THOMPSON,
Defendant. May 21, 2008
MDTION FOR RE—APPOINTM NT OF COUNSEL, NUNC PRO TUNC
NOW comes DAVID J. WENC, CJA trial counsel for the
defendant, TERRANCE THOMPSON, and moves this Honorable Court to
reappoint him. counsel for the defendant, nunc pro tunc to
l2/l8/07, regarding sentence reduction based upon the amendment
to the sentencing guidelines for crack cocaine offenses for the
following reason(s):
l. On December l8, 2007, February 27, 2008 and April l5,
2008, Mr. Thompson’s family contacted defense counsel on behalf
of Mr. Thompson regarding the Sentencing Commission
retroactivity provision.
2. On April l8, 2008, Mr. Thompson wrote defense counsel
requesting that I represent him concerning a possible reduction
of sentence.
3. Mr. Thompson is currently incarcerated on a federal
sentence, and he is indigent.
WHEREFORE, the undersigned counsel prays that this Motion
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Case 3:00-cr-00263-JCH Document 1901 Filed 05/27/2008 Page 2 of 2
be granted and that he be reappointed, nunc pro tunc to December
18, 2007.
RESPECTFULLY SUBMITTED,
By:
D id . Wenc, Esq.
W C LAW OFFICES
546 Halfway House Road
P.O. Box 306
Windsor Locks, CT 06096
Tel. (860) 623-1195
FED BAR # CT00089
[email protected]
CERTIFICATION
I hereby certify that on May 21, 2008 I served a copy of
the foregoing Motion by U.S. mail, first—class, postage prepaid,
to:
Chambers of the Honorable Janet C. Hall
United States District Court
9l5 Lafayette Boulevard
Bridgeport, CT 06604
Davi§éJ. gggcy Esquire
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