Opinion
Criminal Case No. 3:12-CR-0048
09-10-2012
JERRY E. MARTIN United States Attorney for the Middle District of Tennessee Kathryn B. Ward Assistant U. S. Attorney
Judge Sharp
UNITED STATES' MOTION REQUESTING ADDITIONAL TIME TO FILE
RESPONSE TO DEFENDANT'S MOTION
Comes now the United States, by and through the undersigned attorney, and requests additional time to file a response to Defendant's Motion to Dismiss or Strike the False Statements Alleged in Paragraphs 9.(B), 9(C) and 10 of the Indictment. (Docket Entry 20.) In support of this motion, the undersigned attorney states the following: 1. Due to an unexpected influx of work-related assignments in the past two weeks, the undersigned attorney has not had adequate chance to prepare a response. 2. The undersigned attorney attempted to contact defense counsel to obtain his position, but was unable to verify whether he opposes the motion. 3. The government respectfully requests a continuance of one week to file a response.
Respectfully submitted,
JERRY E. MARTIN
United States Attorney for the
Middle District of Tennessee
BY: __________________
Kathryn B. Ward
Assistant U. S. Attorney