Free Motion to Continue - District Court of Connecticut - Connecticut


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Date: December 31, 1969
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Category: District Court of Connecticut
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Case 3:03-cr—00198-RNC Document 775 Filed 11/15/2004 Page1 of2
UNITED STATES DISTRICT COURT
DISTRICT OF CONNECTICUT
UNITED STATES OF AMERICA :
: N0. 3:O3CRl98 (RNC)
V. Z
ADA RIVERA, et.al., : November I2, 2004
MIGUEL SANTIAGO :
DEFENDANT MIGUEL SANTIAGO’S THIRD MOTION
TO CONTINUE SENTENCING
Miguel Santiago, defendant, through undersigned counsel,
respectfully requests that the sentencing hearing in his case,
which is currently scheduled to occur on November 22, 2004 be
continued 30—days.
The requested extension is necessary in order for the
psychologist engaged by the probation department to provide an
evaluation of the defendant to complete her report.
This is the third request for continuance of sentencing by
the defendant.
The undersigned has conferred with Assistant United States
Attorney H. Gordon Hall and Probation Officer Jacqueline Carroll
in connection with this request and they have informed that they
have no objection.
Mr. Santiago has remained in federal custody since his
arrest on the instant charges. A signed waiver of the
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Case 3:03-cr—00198-RNC Document 775 Filed 11/15/2004 Page 2 of 2
defendant’s rights under the sentencing provisions of the Speedy
Trial Act, 18 U.S.C. 3161, et seq, will be submitted to the Court
as soon as practicable.
Wherefore, in view of the forgoing, it is submitted that the
interests of the Court, the defendant and the government would be
furthered by continuing the sentencing 30 days.
Respectfully submitted
Miguel Santiago, Defendant
Kurt F. Zimmermann
kzimmermann@so—law.com
Federal Bar No. ct00581
Silverstein & Osach, P.C.
234 Church Street, Suite 903
New Haven, CT 06510
(203) 865—0121;fax (203) 865-0255
CERTIFICATION
This is to certify that the foregoing Defendant Miguel
Santiago’s Second Motion to Continue Sentencing was mailed on the
12th November, 2004 by U.S. Mail to the following:
H. Gordon Hall, Esq. Jacqueline Carroll
Assistant U.S. Attorney U.S. Probation Office
157 Church Street 157 Church Street
P.O. Box 1824 New Haven, CT 06510
New Haven, CT 06510
;@ 1 g
Kurt F. Zimmermann
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