Opinion
Criminal No.: 3:10-CR-0260(30)
01-16-2012
R. LANCE MILLER, BPR No. 25875 Attorney for Defendant
Judge Haynes
MOTION TO JOIN CO-DEFENDANT FUAD NUR'S MOTION TO ALTER STANDARD
TRIAL
Comes now the Defendant, Mohammed Amalle, by and through the undersigned counsel, and moves this Honorable Court for permission to join Co-Defendant Fuad Nur's Motion to Alter Standard Trial Schedule (Docket Entry 1143).
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R. LANCE MILLER, BPR No. 25875
Attorney for Defendant
CERTIFICATE OF SERVICE
I hereby certify that a true and exact copy of the foregoing has been delivered by the Court's CM/ECF system to Van Vincent, AUSA, 110 9th Ave South, Suite A-961, Nashville, TN 37203 on this the 16th day of January 2012.
R. Lance Miller