Case 3:00-cr-00203-EBB
Document 40
Filed 02/08/2005
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UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT
UNITED STATES OF AMERICA v. JOHN HACKNEY
: : CASE NO. 3:00CR203(EBB) : February 7, 2005
GOVERNMENT'S RESPONSE TO DEFENDANT'S MOTION FOR EXTENSION OF TIME TO REPORT TO THE BUREAU OF CORRECTIONS Comes now the United States, by and through its undersigned attorney, to respond to the defendant John Hackney's "Motion for Extension of Time to Report to Bureau of Corrections [sic]." this regard, the Government respectfully states the following: Given the representations of counsel concerning back injuries the defendant Hackney sustained on or about January 15, 2005, the Government granted. has no objection to the defendant's motion being In
With respect to any extension of time, however, the
Government notes that it has been advised the State of Tennessee has scheduled sentencing in the matter known as State of Tennessee v. John A. Hackney, Docket No. 1-900-302, for Tuesday, February 22, 2005. Specifically, a sentencing hearing in the Circuit Court for
Williamson County has been scheduled as follows: Name of Case: State of Tennessee v. John A. Hackney Docket Number: 1-900-302 Sentencing Date: Tuesday, February 22, 2005 Time: 9:00 a.m. Location: Williamson County Courthouse Franklin, Tennessee The Government respectfully requests that if the Court grants the defendant's motion for extension of time to report to the
Case 3:00-cr-00203-EBB
Document 40
Filed 02/08/2005
Page 2 of 3
Federal Bureau of Prisons, then the extension should be granted with the specific requirement that the defendant appear in the Williamson County Courthouse, Franklin, Tennessee for sentencing on February 22, 2005 for sentencing at 9:00 a.m. Respectfully submitted, KEVIN J. O'CONNOR UNITED STATES ATTORNEY
JOHN H. DURHAM DEPUTY UNITED STATES ATTORNEYS 157 CHURCH STREET, 23RD FLOOR NEW HAVEN, CONNECTICUT 06510 (203)821-3700 FED BAR NO. ct05087
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Case 3:00-cr-00203-EBB
Document 40
Filed 02/08/2005
Page 3 of 3
CERTIFICATION OF SERVICE This is to certify that the within and foregoing has been provided this ____ day of February, 2005 by regular mail to: Curtis Bowe, Esq. Andrews & Bowe, PLLP P.O. Box 81023 Chattanooga, Tennessee 37414 Albert Partee Senior Counsel Office of the Attorney General Antitrust Division P.O. Box 20207 Nashville, Tennessee 37202
John H. Durham DEPUTY UNITED STATES ATTORNEY
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