Case 3:03-cr-00223-EBB
Document 96
Filed 01/17/2006
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT UNITED STATES OF AMERICA VS. BERNABE DIAZ : : : : :
CASE NO.:
3:03 CR223 (EBB)
JANUARY 13, 2006
DEFENDANT'S MOTION TO SEAL HIS SUBMISSION CAPTIONED "MOTION FOR RESENTENCING AND MEMORANDUM IN SUPPORT OF MOTION FOR RESENTENCING" The Defendant, pursuant to L.Cr.R. 57(b)(1), hereby moves the Court to order sealed Docket Entry #95, Defendant's Motion for Resentencing and Memorandum in Support of Motion for Resentencing, dated January 10, 2006, and Exhibit "A" attached thereto. The grounds for the granting of this Motion is that Exhibit "A" to Defendant's Memorandum references information regarding the minor victim which warrants that the documents be filed under seal. Counsel for the Government has no objection to the granting of this Motion. THE DEFENDANT BERNABE DIAZ
BY___________________________ Eugene J. Riccio The Law Offices of John R. Gulash, Jr. & Eugene J. Riccio P.O. Box 9118 350 Fairfield Avenue Bridgeport, CT 06601 Tel. (203)367-7440 Fax (203)336-8379 Fed. Bar #ct 06619
Case 3:03-cr-00223-EBB
Document 96
Filed 01/17/2006
Page 2 of 2
CERTIFICATION OF SERVICE This is to certify that a copy of the foregoing has been mailed, postage prepaid, on this 13 day of January, 2006 to:
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William Nardini, Esquire Assistant United States Attorney Office of the United States Attorney 157 Church Street, 23rd Floor New Haven, CT 06510 Mr. Michael P. Guglielmo United States Probation Officer United States Probation Office 157 Church Street, 22nd Floor New Haven, CT 06510
______________________________ Eugene J. Riccio
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