Case 3:02-cr-00191-CFD
Document 639
Filed 06/29/2005
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT
UNITED STATES OF AMERICA v. VINCENTE OJEDA
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CRIMINAL NO. 3:02CR191(CFD)
June 27, 2005
MOTION TO DISMISS The United States Attorney, through the undersigned Assistant United States Attorney, respectfully requests that the Court dismiss Count Nineteen of the Indictment as it pertains to the defendant Vincente Ojeda in the above-entitled matter. RESPECTFULLY SUBMITTED, KEVIN J. O'CONNOR UNITED STATES ATTORNEY
MICHAEL J. GUSTAFSON ASSISTANT UNITED STATES ATTORNEY 157 CHURCH STREET NEW HAVEN, CT 06510 (203) 821-3700 FEDERAL BAR. #ct 01503 SO ORDERED: _______________________________ CHRISTOPHER F. DRONEY UNITED STATES DISTRICT JUDGE Dated at Hartford, Connecticut, this ______ day of _____, 2005.
Case 3:02-cr-00191-CFD
Document 639
Filed 06/29/2005
Page 2 of 2
CERTIFICATION OF SERVICE I hereby certify that a copy of the above and foregoing Motion to Dismiss has been mailed on this ____ day of June, 2005, to: Jonathan Einhorn 412 Orange Street New Haven, CT 06511
MICHAEL J. GUSTAFSON ASSISTANT UNITED STATES ATTORNEY