Opinion
No. 3:11-00211
08-27-2012
Isaiah S. Gant (BPR #025790) Assistant Federal Public Defender Attorney for Brittan Kettles
KEVIN H. SHARP
U.S. District Court Judge
MOTION TO REQUEST REDACTION
The accused, Brittan Kettles, through counsel, Assistant Federal Defender Isaiah S. Gant, respectfully requests redaction of certain personal information in the trial transcript filed August 20, 2012, (DE 90, 91, and 93). In support of this motion, Mr. Kettles would show the following: The "Administrative Practices and Procedures for Electronic Case Filing (ECF)" adopted by this Court in Administrative Order No. 167 at § 5.07 requires that certain personal information be redacted from documents that may be filed. In this case, the following information regarding a street address should be redacted from the trial transcript at the time of filing:
Respectfully submitted,
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Isaiah S. Gant (BPR #025790)
Assistant Federal Public Defender
Attorney for Brittan Kettles
CERTIFICATE OF SERVICE
I hereby certify that on August 24, 2012, I electronically filed the foregoing Motion to Request Redaction with the clerk of the court by using the CM/ECF system, which will send a Notice of Electronic Filing to the following: J. Alex Little, Assistant United States Attorney, 110 Ninth Avenue South, Suite A-961, Nashville, Tennessee 37203.
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Isaiah S. Gant