Case 1:07-cr-00127-SLR Document 41 Filed O4/25/2008 Page 1 of 1
in THE UNITED STATES DISTRICT COURT
Fon THE DISTRICT or DELAWARE
UNITED STATES 0i= AMERICA ; cRiMiNAi. N0. 07-00127-SLR
V. _ I
SHAWN D. cui=r= ;
CONSENT
I, SHAWN D. CUFF, Defendant, have consulted with my counsel,
CHRISTOPHER G. FURLONG, ESQUIRE, conceming my right under the Speedy Trial
Act and my right to a speedy trial under the Sixth Amendment to the U.S. Constitution.
U S`uPflIL.¤r¤..J h£.I>r—• Hb QPl.u.`°7·|·‘¤
I do not oppose a continuance of my tml, now scheduled fo;} May 12, 2008, an agree
that the ends of justice served by a continuance outweigh the best interest of the public
and myself in a speedy trial. I understand that the time, between the filing of a Motion
to Continue and the new trial date to be set by the Court, will be excluded for purposes
of computing the timenwithin which my trial must commence under the Speedy Trial Act, ‘
and I also agree that this delay will not deprive me of my speedy trial rights under the
Sixth Amendment. I understand that if I do not wish to sign this document, the Court
will hold a hearing at which I wi be present.
S giggcs
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Case 1:07-cr-00127-SLR
Document 41
Filed 04/25/2008
Page 1 of 1