I I Case 3:03-cr-00198-RNC Document 989 Filed 08/24/2005 Page 1 of 2 I
I UNITED STATES OF AMERICA : ‘
v. Case No. 3:03CROO I
NORMAN UWIGGINS : AUGUST 24,20jg% AUG 2U [D 3 28 I
MOTION TO CONTINUE SENTENCING lgngn. . I
· 1 Qér . ir); {3.};.* -~.
' The defendant, Norman Wiggins, by and through counsel, respectfully requests
I a continuance in the sentencing date scheduled for August 29, 2005 for the following I
g reasons:
I
l) Undersigned counsel is a solo practitioner.
I - 2) The undersigned has been engaged in numerous trials this spring.
3) The undersigned requests a continuance to prepare and advance an effective
sentencing argument.
‘ 4) Attomey Patrick Caruso, for the Government, has no objection to this
request.
I
Wherefore the defendant respectfully requests the Court to grant his motion after
full consideration. ·
E
Q The Defendant,
I . Norman Wiggins `
By i/by I
Walter D. Hussey
His Attorney
I
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I !
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. l ‘· Case 3:03-cr-00198-RNC Document 989 Filed 08/24/2005 Page 2 of 2 {
ommn l
The aforementioned Motion is hereby GRANTED / DENIED
BY THE count
CERTIFICATION
This is to certify that a way of this motion has been mailed to the following counsel of
` record:
The Office ofthe United States Attorney
_ Patrick Caruso, esq.
- 157 Church Street, 23rd Floor
New Haven, CT 06510
Walter D. Hussey é
U I