Opinion
No. 3:1-CR-00045-1
06-28-2012
JERRY E. MARTIN United States Attorney for the Middle District of Tennessee CLAY T. LEE Special Assistant United States Attorney
Judge Trauger
MOTION TO DISMISS INDICTMENT
COMES NOW, the United States of America, by and through the undersigned Special Assistant U.S. Attorney, and respectfully requests the Court dismiss the indictment against defendant Joshua Granderson pursuant to the Federal Rules of Criminal Procedure Rule 48(a). In support of this motion, the government submits that its Motion to Dismiss Appeal (see attachment) was granted by the Sixth Circuit Court of Appeals on June 28, 2012.
Respectfully submitted,
JERRY E. MARTIN
United States Attorney for the
Middle District of Tennessee
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CLAY T. LEE
Special Assistant United States Attorney