Free Motion to Continue - District Court of Arizona - Arizona


File Size: 38.7 kB
Pages: 2
Date: July 21, 2006
File Format: PDF
State: Arizona
Category: District Court of Arizona
Author: unknown
Word Count: 339 Words, 2,153 Characters
Page Size: Letter (8 1/2" x 11")
URL

https://www.findforms.com/pdf_files/azd/32226/35-1.pdf

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1 JON M. SANDS Federal Public Defender 2 District of Arizona 3 850 West Adams Street, Suite 201 Phoenix, Arizona 85007 4 Telephone: (602) 382-2767 5 TRACY FRIDDLE, #022446 Asst. Federal Public Defender 6 Attorney for Defendant 7 tracy_friddle @fd.org 8 9 10 11 12 13 14 15 16 17 18 19 vs. (Second Request) Fernando Cuevas-Molina, Defendant. Fernando Cuevas-Molina, through undersigned counsel, moves to continue the admit/deny hearing, presently scheduled for July 27, 2006, for a period United States of America, Plaintiff, No. CR-03-914-PHX-JAT MOTION TO CONTINUE ADMIT/DENY HEARING IN THE UNITED STATES DISTRICT COURT DISTRICT OF ARIZONA

20 of at least forty-five (45) days. The reason for the requested continuance is that 21 defendant has a new related case, CR-06-512-PHX-SRB, the outcome of which will 22 likely affect this case. Defendant, therefore, requests additional time to resolve the 23 related case before taking any action in this case. In addition, a neuropsychologist 24 25 26 27 ... doctor's report. Assistant U.S. Attorney, Jacki Ireland, has been contacted and she has has recently evaluated defendant, and defense counsel is awaiting preparation of the

28 no objection to this requested continuance.

Case 2:03-cr-00914-JAT

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Filed 07/24/2006

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1 ... 2 3 4 5 6 7 8 9 10 Copy of the foregoing transmitted th 11 by ECF for filing this 24 day of July, 2006, to: 12 CLERK'S OFFICE 13 United States District Court 14 Sandra Day O'Connor Courthouse 401 W. Washington 15 Phoenix, Arizona 85003 16 JACKI IRELAND Assistant United States Attorney 17 Two Renaissance Square 18 40 North Central Avenue Suite 1200 19 Phoenix, Arizona 85004-4408 Copy mailed to: 20 FERNANDO CUEVAS-MOLINA 21 Defendant 22 23 s/G. Dorsey G. Dorsey 24 25 26 27 28
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\ContAdmitDenyMTN2

It is expected that excludable delay under Title 18 U.S.C. 3161(h)(1)(F) may occur as a result of this motion or from an order based thereon. Respectfully submitted: July 24, 2006. JON M. SANDS Federal Public Defender _s/Tracy Friddle TRACY FRIDDLE Asst. Federal Public Defender

Case 2:03-cr-00914-JAT

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Filed 07/24/2006

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