Case 3:00-cr-00227-SRU
Document 1468
Filed 03/15/2006
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT UNITED STATES OF AMERICA VS. FELIPE SANTANA : : : : :
NO. 3:00CR227 (SRU)
MARCH 13, 2006
MOTION FOR PERMISSION TO SUBMIT INTERIM BILLING The Defendant, FELIPE SANTANA, respectfully requests that his counsel be authorized to submit interim voucher: In support of this motion: 1. Felipe Santana was arrested in December 1999, and after a jury trial, was convicted and sentenced on October 7, 2002 to fifteen years of incarceration to run concurrent with this State Court sentence. 2. Mr. Santana is indigent and undersigned counsel has been appointed to represent him pursuant to the Criminal Justice Act, 18 U.S.C. ยง3006A et seq. 3. The undersigned believes that due to the complexity of this matter, that this case will continue for a lengthy period of time. 4. It will be a hardship for undersigned counsel to wait until the conclusion of the matter to submit a voucher. 5. Whereof, it is submitted good cause exists for granting this request.
Respectfully Submitted THE DEFENDANT FELIPE SANTANA BY__________________________________
Case 3:00-cr-00227-SRU
Document 1468
Filed 03/15/2006
Page 2 of 2
CARLOS E. CANDAL Federal Bar No. ct18667 Law Offices of Carlos E. Candal, LLC 205 Church Street, Suite 306 New Haven, CT 06510 (203) 562-3000 FAX: (203) 772-3726 His Attorney
CERTIFICATION OF SERVICE This is to certify that a copy of the foregoing motion was mailed on this date to the following: A.U.S.A. Alina Reynolds 915 Lafayette Blvd. Bridgeport, CT 06604 Felipe Santana Inmate # 14056-014 Federal Correctional Institution McKean P.O. Box 8000 Bradford, PA 16701
__________________________ Carlos E. Candal, Esq.