Case 3:00-cr-00044-SRU Document 666 Filed 04/1 1 {2008 Page 1 of 2
UNITED STATES DISTRICT COURT
g FOR THE DISTRICT OF CONNECTICUT
UNITED STATES OF AMERICA : Crim. N0.
: 3:00-CR-44 (SRU)
RYAN BALDWIN April 11, 2008
DEFENDANT RYAN BALDWIN’S
MOTION FOR EXTENSION OF DEADLINE NUNC PRO TUNC TO FILE
AMENDED MOTION PURSUANT TO 18 U.S.C. §2255
On I\/larch 17, 2008, the Court (Underhill, J.) granted I\/lr. BaIdwin’s Second (
Motion to for Extension of Time to amend his pending motion to vacate conviction and
sentence filed pursuant to 28 U.S.C. §2255. [Doc. 665]. The amended motion was clue
April 10, 2008. Due to the press of other business, the amended motion could not be
completed and submitted on such date.
Accordingly, on behalf of l\/lr. Baldwin, undersigned counsel respectfully requests
that the Court extend, nunc pro tunc, the time within which to file Mr. Baldwin’s fl
amended Section 2255 motion by one day to April 11, 2008.
Zeldes, Needle & Cooper
1000 Lafayette Blvd. ‘
F’.O. Box 1740
Bridgeport, Connecticut 06604
Tel: (203) 333-9441
Fax: (203) 333-1489 ·
Email: n°[email protected]
Attorney for Ryan Baldwin A
Case 3:00-cr-OOO44.jSRU Document 666 Filed O4/1-1/2008 Page 2 of 2
CERTIFICATION
This is to certify that a copy of the foregoing has been sent via first class, United
States l\/lail, postage prepaid, on this date, to: l
Peter Markle, AUSA
H. Gordon Hall, AUSA
U.S. Attorney's Office
157 Church Street, 23rd Floor f
P.O. Box 1824 Q
New Haven, CT 06510
Rudolph Findley l\/liller, Esq.
390 Centre St.
Jamaica Plain, MA 02130 J
Dated at Bridgeport, Connecticut this April 11, 2008.
2 .