Case 3:02-cr-00001-JBA
Document 43
Filed 09/28/2007
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT __________________________________________ : UNITED STATES OF AMERICA : : vs. : : MARIO LOPEZ : __________________________________________: CRIMINAL ACTION NO. 3:02cr 1 (JBA)
September 28, 2007
DEFENDANT'S MOTION TO POSTPONE SENTENCING In light of the circumstances present in this case, defendant moves that the sentencing in this case be postponed to early 2008. This extension is in the interests of justice for the reasons stated at footnote 2 of the document filed by defendant in this case on September 27, 2007, among other reasons. The government joins in this motion, and the undersigned has fully consulted with the defendant about it and he agrees with it. It appears that two prior extensions have been granted with respect to this date.
THE DEFENDANT,
By /s/ William M. Bloss William M. Bloss, No. ct01008 Koskoff Koskoff & Bieder 350 Fairfield Avenue Bridgeport, Connecticut 06604 Tel: 203-336-4421 Fax: 203-368-3244 Email: [email protected]
Case 3:02-cr-00001-JBA
Document 43
Filed 09/28/2007
Page 2 of 2
CERTIFICATION This is to certify that on September 28, 2007, the foregoing document was filed with the Clerk of the Court and served in accordance with the Federal Rules of Civil Procedure, and/or the District of Connecticut's Local Rules, and/or the District of Connecticut's rules on Electronic Service upon the following parties and participants: David A. Ring Assistant United States Attorney 23rd Floor 157 Church Street New Haven, CT 06510 /s/ William M. Bloss William M. Bloss