Case 3:03-cr-00274-CFD
Document 13
Filed 02/11/2005
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT UNITED STATES OF AMERICA vs. ANDUZE ALEXANDER : : : CRIMINAL NO. 3:03CR274(CFD) February 10, 2005
MOTION TO AMEND CONDITION OF RELEASE
The defendant, Anduze Alexander, requests the Court to amend the conditions of his release to permit him to reside with his wife, Carol Alexander, at 3000 Woodland Park Drive, Apt. 1507, Houston, Texas. The current conditions require that he reside with his in-laws at 2003 Redway St., Houston, TX. Assistant United States Attorney David A. Ring has no objection. Respectfully submitted, THE DEFENDANT, ANDUZE ALEXANDER
Dated: February 10, 2005
/s/ Thomas G. Dennis Federal Defender 10 Columbus Blvd, FL 6 Hartford, CT 06106-1976 Bar No. ct05100 (860) 493-6260 CERTIFICATION
I HEREBY CERTIFY that a copy of the foregoing Motion To Amend Condition of Release has been mailed to David A. Ring, Assistant United States Attorney, Federal Building, 450 Main Street, Hartford, CT 06103, on this 10th day of February 2005.
/s/ Thomas G. Dennis
Case 3:03-cr-00274-CFD
Document 13
Filed 02/11/2005
Page 2 of 2
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