Free Motion to Continue - District Court of Connecticut - Connecticut


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Date: August 24, 2005
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Category: District Court of Connecticut
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_ i` Case 3:03-cr-00229-FQC Document 145 Filed 08/2%/$005 Page1 of 3
UNITED STATES DISTRICT COURT
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DISTRICT OF CONNECTICUT __ M _ p
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UNITED STATES OF AMERICA : No 3:03229(RNC) l H
vs.
FAUSTINO FLEURY i AUGUST 22, 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 August 29, 2005 at ll:0O.
The reason for this request is that the Court previously granted Def`endant's Motion for
Mental Capacity Evaluation by a particular physician, Dr. Vladimir Coric, of` Yale University.
Between some vacation time and professional commitmentts, including at least two which have
recently taken him out of the State of Connecticut, Dr. Coric has been unusually busy lately.
The undersigned believes that Dr. Coric will be able to see Mr. Fleury — who has been moved
to the New Haven Community Correctional Center — on either September 7 or September 8 for ,
an initial interview, along with an interpreter and the undersigned, both of whom are available
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at those times. It is believed that one or two t`ollow—up visits will be necessary and it is hoped
that those visits and a written evaluation can be produced within one or two weeks of
September 7 or September 8.
Accordingly, it is requested that the sentencing be continued until some time during the K
week of September 26, 2005. This has been discussed with the Assistant United States I
Attorney — Patrick Caruso - who is covering for H. Gordon Hall while the latter is on vacation, E
and it would appear that Mr. Hall should be available some time during that week. l
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‘ Case 3:03-cr—OO229CFll)\lC Document 145 Filed 08/26%/5005 Page 2 of 3
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 day following.
DEFENDANT
FAUSTINO FLEURY
homas Fur W
Fed Bar #ct00028
Furniss & Quinn PC
248 Hudson St.
Haitford CT 06106
(860) 527-2245
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. Case 3:03-cr-00229¤F§5\lC Document 145 Filed 08/23/2005 Page 3 of 3 Q
CERTIFICATION OF SERVICE
I hereby certify that a copy of the foregoing was mailed on thisjzu/Qty of
August, 2005 to:
{ Robert Gerard Golger
Quatrella & Rizio
· One Post Rd., P.O. Box 320019
Fairfield, CT 06432
2 Emili Vaziri
_ 160 Plainfield St.
Providence, Rl 02909
H. comm Hall
_ U.S. Attorney’s Office — NH _
` 157 Church St., 23"d Floor
E P.O. Box 1824
i New Haven, CT 06510 _
i Dennis Linder
’ United States Probation Office
915 Lafayette Blvd
Bridgeport CT 06604
Patrick Caruso 1
U.S. Attorney’s Office ——· NH
157 Church St., 23'ld Floor
` P.O. Box 1824
. New Haven, CT 06510
I go C. Thgas Furniss
F