Free Motion to Continue - District Court of Arizona - Arizona


File Size: 41.7 kB
Pages: 2
Date: November 21, 2005
File Format: PDF
State: Arizona
Category: District Court of Arizona
Author: unknown
Word Count: 390 Words, 2,474 Characters
Page Size: Letter (8 1/2" x 11")
URL

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JON M. SANDS Federal Public Defender 2 District of Arizona 850 West Adams, Suite 201 3 Phoenix, Arizona 85007 Telephone: (602) 382-2767
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TRACY FRIDDLE, Bar Assoc. #022446 Asst. Federal Public Defender Attorney for Defendant 6 [email protected]
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IN THE UNITED STATES DISTRICT COURT DISTRICT OF ARIZONA United States of America, Plaintiff, -vsRyan Lewis, Defendant. No. CR-04-424-PHX-FJM MOTION TO CONTINUE SENTENCING (2nd Request)

Ryan Lewis, through undersigned counsel, respectfully moves that this court continue the sentencing date for a period of 30 days from the current date of November 28, 2005. Additional time is necessary to allow undersigned counsel to complete a thorough investigation of issues pertinent to sentencing. Undersigned counsel began working in the Office of the Federal Public Defender in Phoenix, Arizona on October 3, 2005. She provided notice to the Court of her substitution of former Assistant Federal Public Defender Michael D. Gordon in this case on October 5, 2005. Undersigned counsel has worked diligently to become thoroughly familiar with all aspects of defendant's case. Additional time is needed, however, given the significant discovery and investigation conducted prior to undersigned counsel's substitution in the case. \\\ \\\ \\\

Case 2:04-cr-00424-FJM

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Undersigned counsel has spoken with Assistant United States Attorney Sharon Sexton and United States Probation Officer Sharie Lutt, who have no objection to the requested continuance. Respectfully submitted: November 21, 2005. JON M. SANDS Federal Public Defender s/Tracy Friddle TRACY FRIDDLE Asst. Federal Public Defender

Copy of the foregoing MOTION TO CONTINUE SENTENCING electronically transmitted by CM/ECF system 11 this 21st day of November, 2005, to:
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Sharon Sexton Assistant U.S. Attorney 13 Two Renaissance Square, Suite 1200 40 North Central Avenue 14 Phoenix, Arizona 85004-4408
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I hereby certify that on 21st day of November, 2005 the foregoing document was 16 mailed or delivered on the following, who are not registered participants of the 17 CM/ECF system:
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Sharie Lutt U.S. Probation Officer 19 401 West Washington Phoenix, Arizona 85003
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Ryan Lewis Defendant s/Tracy Friddle
TRACY FRIDDLE i:\i:\2cont sent

Case 2:04-cr-00424-FJM

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