Free Motion to Continue - District Court of Connecticut - Connecticut


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Date: October 3, 2005
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State: Connecticut
Category: District Court of Connecticut
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; ' Case 3:03-cr—00229—§C Document 150 Filed 10/Og)05 Page 1 of 3 qm-
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UNITED STATES DISTRICT COURT u I _ rar, gu J
DISTRICT OF CONNECTICUT HM n I ,
UNITED STATES OF AMERICA : No 3 ;03CR229(RNC)
vs.
FAUSTINO FLEURY : OCTOBER 1,2005
MOTION TO CONTINUE SENTENCING
The Defendant, acting herein by his undersigned counsel, hereby moves the Court to
continue the date of his sentencing, which is currently scheduled for October 7, 2005 at 9:30
am.
The reason for this request is that the Court previously granted Defendants Motion for
Mental Capacity Evaluation by a particular physician, Dr. Vladimir Coric, of Yale University,
which was dated June 30, 2005, and Def`endant's Supplement to that Motion, being dated
. September 15, 2005, which Supplement requested authorization to have the Defendant be
tested for IQ and related issues by a Spanish—speaking psychologist. Dr. Coric and the
undersigned, along with an interpreter, visited with Mr. Fleury on September 28, 2005 for the
third and final time needed by Dr. Coric; but the earliest appointment that could be arranged
for the testing by Dr. Rafael Gallegos was ()ctober 5, 2005 at 2:00 p.m. and it will take one to
two weeks following the receipt by Dr. Coric of the results of the testing for him to complete
his report to counsel.
Accordingly, it is requested that the sentencing be continued until approximately two to
three weeks beyond October 7, 2005. This has been discussed with the Assistant United States
Attorney I—I. Gordon Hall and he reported that the Government has no objection.



` Case 3:03-cr—00229—Fil}lC Document 150 Filed 10/03@005 Page 2 of 3 I
a CJ O Q
Counsel will communicate with the Defendant about the need for a Speedy Trial Waiver,
and and will send him one, with an explanation in Spanish, on the date of this Motion or on the
next business day following that.
DEFENDANT
FAUSTINO FLEURY
C. Thomas ss
Fed Bar #ct00028
l
Furniss & Quinn PC
248 Hudson St.
Hartford CT 06106
(860) 527-2245
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{ Case 3:03-cr—00229—(F1‘lv|C Document 150 Filed 10/0iL2§>05 Page 3 of 3
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CERTIFICATION OF SERVICE [L
. S *
I hereby certify that a copy of the foregoing was mailed on this /’ day of i
October, 2005 to:
Robert Gerard Golger
Quatrella & Rizio
One Post Rd., P.O. Box 320019
Fairfield, CT 06432
Emili Vaziri
160 Plainfield St. _
Providence, RI 02909
H. Gordon Hall
U.S. Attorney’s Office — NH
157 Church St., 23'd Floor
P.O. Box 1824
New Haven, CT 06510 I
Dennis Linder
United States Probation Office
915 Lafayette Blvd
Bridgeport CT 06604
- C. Thom gurniss
1