Case 3:03-cr-00027-EBB
Document 14
Filed 05/11/2006
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT
UNITED STATES v. FELIX KOTOVNIKOV
: : : CRIMINAL NO. 3:03CR27(EBB) : : MAY 10, 2006
UNITED STATES' MOTION FOR EXTENSION OF TIME
The United States, by and through its counsel, Kevin J. O' Connor, United States Attorney for the District of Connecticut, and John A. Danaher III, Assistant United States Attorney for the District of Connecticut, hereby request that the Court grant an extension of time of thirty (30) days, from May 12, 2006 through June 9, 2006, to respond to the defendant' s Motion for Termination of Supervised Release. As grounds therefore, the Government avers that additional time is required as this matter was originally assigned to an Assistant United States Attorney who is no longer with this office and has been reassigned to the undersigned Assistant United States Attorney.
Case 3:03-cr-00027-EBB
Document 14
Filed 05/11/2006
Page 2 of 2
This is the first request for an extension of time to respond. Defendant' s counsel, Hugh F, Keefe, Esq., has been contacted and has no objection to this request.
Respectfully submitted, KEVIN J. O'CONNOR UNITED STATES ATTORNEY
JOHN A. DANAHER III ASSISTANT UNITED STATES ATTORNEY Federal Bar No. Ct05101 450 Main Street, Room 328 Hartford, CT 06103
CERTIFICATION OF SERVICE The undersigned hereby represents that he has mailed a copy of the foregoing this 10th day of May, 2006, to the following: Hugh F. Keefe, Esq. Lynch, Traub, Keefe and Errante, P.C. 52 Trumbull Street, P. O. Box 1612 New Haven, CT 06506-1612 _________________________________________ JOHN A. DANAHER III ASSISTANT UNITED STATES ATTORNEY
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