Case 3:02-cr-00004-AWT
Document 155
Filed 04/21/2005
Page 1 of 1
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT UNITED STATES OF AMERICA vs. LUIS SANTIAGO : : : CRIMINAL NO. 3:02CR4(AWT) April 20, 2005
MOTION TO WITHDRAW The undersigned moves to withdraw as counsel to the defendant, Luis Santiago for the reason that irreconcilable differences have arisen which make it impossible to continue providing effective representation. It is requested that new counsel be appointed from the CJA Panel. Respectfully submitted, THE DEFENDANT, LUIS SANTIAGO
Dated: April 20, 2005
/s/ Thomas G. Dennis Federal Defender 10 Columbus Blvd, FL 6 Hartford, CT 06106-1976 Bar No. ct05100 (860) 493-6260 CERTIFICATION
I HEREBY CERTIFY that a copy of the foregoing Motion to Withdraw has been mailed to Raymond F. Miller, Assistant United States Attorney, P.O. Box 1824, New Haven, Connecticut 06508, and a copy to Luis Santiago, on this 20th day of April 2005.
/s/ Thomas G. Dennis