Case 1:07-cr-00042-JJF
Document 30
Filed 12/13/2007
Page 1 of 2
FEDERAL PUBLIC DEFENDER DISTRICT OF DELAWARE
704 King Street, Suite 110 Wilmington, Delaware 19801
Phone (302) 573-6010 FAX (302) 573-6041 www.fpdde.org
Edson A. Bostic
Federal Public Defender
Eleni Kousoulis Luis A. Ortiz Keir Bradford Assistant Federal Public Defenders Tieffa Harper Research & Writing Specialist
December 13, 2007
Honorable Joseph J. Farnan, Jr. United States District Court J. Caleb Boggs Federal Building 844 King Street, Fourth Floor Wilmington, DE 19801 Re: United States v. Thomas L. Davis Criminal Action No. 07-42-JJF Our File No.: 2007-00146
Dear Judge Farnan: I am writing in regard to the pro se Motion to Dismiss Counsel P.D. Kousoulis, filed by Mr. Davis on November 24, 2007 and docketed on November 29, 2007.1 Defense counsel believes that she has been effective in representing Mr. Davis to this point and maintains that she will continue to represent Mr. Davis to the fullest extent of the law, and she wishes to continue as his counsel at this time. Should the Court find merit to any of Mr. Davis' arguments set forth in his motion, defense counsel is not opposed to the Court appointing Mr. Davis new counsel.
Mr. Davis' pro se Motion was docketed by the Court on December 12, 2007. Since Mr. Davis' pro se Motion was docketed, defense counsel felt that any response to this motion should be sent directly to the Court.
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Case 1:07-cr-00042-JJF
Document 30
Filed 12/13/2007
Page 2 of 2
Thank you for Your Honor's consideration of the foregoing.
Respectfully submitted,
/s/ Eleni Kousoulis, Esq. Assistant Federal Public Defender Attorney for Defendant Thomas L. Davis
cc: Shawn E. Martyniak, Assistant United States Attorney (by ECF)
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