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Case: 4:18-cr-00208-ERW-DDN Doc.

#: 25 Filed: 07/02/18 Page: 1 of 2 PageID #: 46

IN THE DISTRICT COURT OF EASTERN MISSOURI


UNITED STATES OF AMERICA

UNITED STATES OF AMERICA, )


)
Plaintiff, )
) Cause No.: 4:18-Cr00208
-vs )
)
DONALD R. WHITE, )
)
Defendant. )

REQUEST TO CONTINUE DATE TO FILE PRE-TRIAL MOTIONS

COMES NOW, Mark J. Byrne, Attorney for Defendant, and respectfully requests the

above matter be continued for a new date to file pre-trial motions. As grounds for this request,

Counsel states the following:

1. AUSA Dianna Collins and Defense Counsel have been working with the Federal Bureau

of Investigations to determine an accurate amount that is sought for restitution in this

matter.

2. AUSA Collins is out of town during the week of July 2, 2018.

3. Counsel requests one last continuance in this matter to determine whether or not to file

Pre-Trial Motions or to file a Waiver of Pre-Trial Motions.

4. AUSA Collins is not opposed to this request.

WHEREFORE, for the foregoing reasons, Counsel prays the Court allow him until at

least July 20, 2018 to determine whether or not to file Pre-Trial Motions.

Respectfully Submitted,

FISCHER & BYRNE, L.L.C.

/s/ Mark J. Byrne


_____________________
MARK J. BYRNE, #53118
1750 S. Brentwood Blvd., Ste. 295
St. Louis, MO 63144
(314)231-0777 Office
(844) 273-9163 Fax
Case: 4:18-cr-00208-ERW-DDN Doc. #: 25 Filed: 07/02/18 Page: 2 of 2 PageID #: 47

CERTIFICATE OF SERVICE

The above-signed certifies that a copy of the foregoing was served via-electronic filing to
the United States District Court of Eastern Missouri, as well as, the United States District
Attorney’s Office on this 2nd day of July, 2018.

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