Case 3:03-cr-00218-JBA
Document 69
Filed 04/22/2005
Page 1 of 3
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT __________________________________________ : UNITED STATES OF AMERICA : : CRIM. NO. 3:03CR218(JBA) VS. : : OSAS AYEKI : April 22, 2005 __________________________________________: MOTION TO CONTINUE SENTENCING The defendant in the above-captioned matter hereby moves to continue his sentencing date currently scheduled for Monday, April 15, to June 13, 2005. In support thereof, defendant states as follows: 1. 2. The government has no objection to this motion being granted. This is the second motion for extension of time filed by undersigned counsel with
respect to this deadline. 4. This extension is necessary because counsel for the defendant is presently on trial
before the Honorable Patty Jenkins Pittman in the Judicial District of New Haven in the case entitled Emyne Gonzalez vs. University System of New Hampshire, et al., Docket No. CV 01
0451217 S.
5.
The undersigned has mailed a Speedy Sentencing Waiver to the defendant for
signature, and it will be filed upon receipt.
Case 3:03-cr-00218-JBA
Document 69
Filed 04/22/2005
Page 2 of 3
WHEREFORE, for the foregoing reasons, defendant requests that his sentencing date be continued to June 13, 2005, at 9:00 A.M. or to such other date as the court deems appropriate. THE DEFENDANT
By ________________________________ William M. Bloss Federal Bar No. ct01008 Koskoff Koskoff & Bieder, P.C. 350 Fairfield Avenue Bridgeport, CT 06604 TEL: 203-336-4421 FAX: 203-368-3244 email: [email protected]
Case 3:03-cr-00218-JBA
Document 69
Filed 04/22/2005
Page 3 of 3
CERTIFICATION This is to certify that a copy of the foregoing has been mailed, postage prepaid, on this 22 day of April, 2005, to all counsel and pro se parties of record, as follows:
nd
John A. Marella, Esq. Assistant U.S. Attorney 157 Church Street 23rd Floor New Haven, CT 06510 ________________________________ William M. Bloss