Case 3:00-cr-00227-SRU
Document 1431
Filed 12/13/2005
Page 1 of 3
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT
UNITED STATES v. HECTOR GONZALEZ,et al.
: : : : :
CRIM. NO.
3:00CR227(SRU)
December 13, 2005
MOTION FOR EXTENSION OF TIME The United States of America, through the undersigned Assistant United States Attorney, respectfully requests an extension of time, nunc pro tunc, of thirty (30) days, up to and including January 12, 2006, within which to respond to the defendant's sentencing memorandum. The reason for this request
is that the undersigned is currently responding to a number of pleadings in this and other cases and additional time is needed in order to prepare an adequate response. This is the first
request for an extension of time in this matter. The undersigned has conferred with counsel for the defendant who stated that he has no objection to the granting of this request.
Case 3:00-cr-00227-SRU
Document 1431
Filed 12/13/2005
Page 2 of 3
WHEREFORE, the undersigned respectfully requests that the time within which to respond to the defendant's sentencing memorandum be extended up to and including January 12, 2006. Respectfully submitted, KEVIN J. O'CONNOR UNITED STATES ATTORNEY
JAMES K. FILAN, JR. ASSISTANT UNITED STATES ATTORNEY 915 LAFAYETTE BOULEVARD BRIDGEPORT, CT 06604 (203) 696-3000 FEDERAL BAR NO. ct15565
Case 3:00-cr-00227-SRU
Document 1431
Filed 12/13/2005
Page 3 of 3
CERTIFICATION This is to certify that a copy of the foregoing was sent via United States mail, postage prepaid, on this date, to: Donald D. Dakers 18 Pepperidge Lane Madison, CT 06443 Dated at Bridgeport, Connecticut this 13th day of December, 2005.
__________________________________ JAMES K. FILAN, JR. ASSISTANT UNITED STATES ATTORNEY