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Home Court filings USA v. Thurmond et al. — U.S. District Court, S.D. Ga., Augusta Division MOTION for Leave of Absence as to USA for dates of :… — USA v. Thurmond et. al. (Dkt. 36)

Court filing

MOTION for Leave of Absence as to USA for dates of :… — USA v. Thurmond et. al. (Dkt. 36)

Record facts

CourtU.S. District Court for the Southern District of Georgia
Filed2023-06-02

U.S. District Court for the Southern District of Georgia · No. 1:23-cr-00021-JRH-BKE · Doc. 36 · 2023-06-02 · Docket on CourtListener

Summary

A motion for leave of absence filed by the government in United States of America v. Brandon Jamal Thurmond and La'Kyera Me'Lika Thurmond, Case No. 1:23-CR-021, in the U.S. District Court for the Southern District of Georgia, Augusta Division, filed June 2, 2023 as Document 36. Assistant United States Attorney Jennifer A. Stanley requests leave under Local Rule 83.9 for July 17, 2023 through July 27, 2023 and August 1, 2023 through August 2, 2023, both for official training. The motion asks that, if a hearing is scheduled during those dates, another Assistant United States Attorney be permitted to handle the matter for the government. It is dated May 25, 2023 and includes a certificate of service.

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Full text

1 
 
UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF GEORGIA 
AUGUSTA DIVISION 
 
UNITED STATES OF AMERICA    )      CASE NO: 1:23-CR-021 
 
                        )  
   
 
v. 
 
 
 
 
 ) 
 
 ) 
 
BRANDON JAMAL THURMOND 
 ) 
and   
 
 
 
 
 ) 
LA’KYERA ME’LIKA THURMOND  )   
 
 
  
 
  
                       
  
MOTION FOR LEAVE OF ABSENCE 
 
Now comes Jennifer A. Stanley, Assistant United States Attorney, as counsel 
for the United States in the above-styled proceeding, and respectfully requests a leave 
of absence from the Court pursuant to Local Rule 83.9 for the following dates: 
a) July 17, 2023 through July 27, 2023 inclusive, for the purpose of official 
training. 
b) August 1, 2023 through August 2, 2023, inclusive, for the purpose of official 
training.  
Further, should this Honorable Court schedule a hearing during the above-
referenced dates, the Government respectfully requests permission to have another 
Assistant United States Attorney handle the matter on behalf of the Government in 
the absence of the undersigned Assistant United States Attorney.  
WHEREFORE, the Government respectfully requests that this Honorable 
Court GRANT its Motion for Leave of Absence for the above-stated dates. 
 
 
Case 1:23-cr-00021-JRH-BKE     Document 36     Filed 06/02/23     Page 1 of 3

2 
 
This 25th day of May, 2023. 
Respectfully submitted, 
 
JILL E. STEINBERG 
UNITED STATES ATTORNEY 
 
/s/ Jennifer A. Stanley                      
Assistant United States Attorney 
Alabama Bar No. 8400E77T 
Post Office Box 2017 
Augusta, Georgia 30903 
(706) 826-4525 
E-Mail: Jennifer.stanley@usdoj.gov 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
Case 1:23-cr-00021-JRH-BKE     Document 36     Filed 06/02/23     Page 2 of 3

3 
 
CERTIFICATE OF SERVICE 
 
 
This is to certify that I have on this day served all the parties in this case in 
accordance with the notice of electronic filing (“NEF”) which was generated as a result 
of electronic filing in this Court. 
Submitted this 25th day of May 2023. 
 
JILL E. STEINBERG 
 
 
 
 
 
 
 
UNITED STATES ATTORNEY 
 
s/ Jennifer A. Stanley 
 
Jennifer A. Stanley 
Assistant United States Attorney 
Alabama Bar No. 8400E77T 
United States Attorney’s Office 
Southern District of Georgia 
Post Office Box 2017 
Augusta, Georgia 30903 
T: (706) 826-4525 
jennifer.stanley@usdoj.gov 
 
 
Case 1:23-cr-00021-JRH-BKE     Document 36     Filed 06/02/23     Page 3 of 3

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