Case 3:00-cr-00129-AWT
Document 67
Filed 05/24/2006
Page 1 of 1
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT UNITED STATES OF AMERICA vs. JAMES HUNTER : : : CRIMINAL NO. 3:00CR129(AWT) May 24, 2006
MOTION FOR DISCLOSURE The defendant, James Hunter, moves, pursuant to the Due Process Clause of the Fifth Amendment and F.R.Crim. P. 32.1(b)(2)(B), for the disclosure of any and all information that may be provided to the Court by the United States Probation Office, and which relates in any way to the pending petition to revoke his supervised release. The defendant respectfully refers the Court to the Memorandum of Law, filed herewith.
Respectfully submitted, THE DEFENDANT, JAMES HUNTER
Dated: May 24, 2006
/s/ Thomas G. Dennis Federal Defender 10 Columbus Blvd, FL 6 Hartford, CT 06106-1976 Bar No. ct05100 (860) 493-6260 Email: [email protected] CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a copy of the foregoing Motion for Disclosure has been mailed to James Genco, Assistant United States Attorney, Federal Building, 450 Main Street, Hartford, CT 06103, on this 24th day of May 2006. /s/ Thomas G. Dennis