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Home Court filings United States v. Carl Delano Torjagbo — N.D. Ga., No. 1:22-cr-171-MLB MOTION for Extension of Time to File Response/Reply as to 109 Response in Opposition by…

Court filing

MOTION for Extension of Time to File Response/Reply as to 109 Response in Opposition by… — USA v. Torjagbo (Dkt. 119)

Record facts

CourtU.S. District Court for the Northern District of Georgia
Filed2024-10-03

U.S. District Court for the Northern District of Georgia · No. 1:22-cr-00171-MLB-RDC · Doc. 119 · 2024-10-03 · Docket on CourtListener

Summary

An unopposed motion for extension of time filed October 3, 2024 by defendant Carl Torjagbo in United States v. Torjagbo, No. 1:22-cr-00171-MLB-RDC, in the U.S. District Court for the Northern District of Georgia, Doc. 119. The motion asks for a seven-day extension to file his post-hearing reply brief supporting his motion and amended motion to suppress statements, docs. 44 & 88, on which the court held an evidentiary hearing on June 5, 2024. It states that the reply was due October 3, 2024, that defense counsel needs additional time, and that the government's counsel does not oppose the request. The motion argues the extension period would be excludable under the Speedy Trial Act, citing 18 U.S.C. § 3161(h)(1)(D) and §§ 3161(h)(7)(A) & (h)(7)(B)(iv). The four-page filing is signed by Kendal D. Silas of the Federal Defender Program, Inc. and includes a certificate of service.

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Full text

1 
IN THE UNITED STATES DISTRICT COURT 
 
FOR THE NORTHERN DISTRICT OF GEORGIA 
 
 
ATLANTA DIVISION 
 
UNITED STATES OF AMERICA 
 
) 
    
 
) 
 
 
vs. 
 
 
    
 
) 
CRIMINAL ACTION 
 
)    NO. 1:22-CR-171-MLB-RDC 
CARL TORJAGBO 
 
 
 
) 
 
 
 
          
 
 
)  
 
 
UNOPPOSED MOTION FOR EXTENSION OF TIME 
TO FILE POST-HEARING REPLY BRIEF 
 
COMES NOW the Defendant, CARL TORJAGBO, by and through his 
undersigned counsel, and moves the Court for a seven-day extension of time to file 
his post-hearing reply brief in support of his motion and amended motion to suppress 
statements, docs. 44 & 88.  In support of this motion, Mr. Torjagbo states the 
following.  
Pending before the Court are Mr. Torjagbo’s motion and amended motion to 
suppress statements, docs. 44 & 88.  The Court conducted an evidentiary hearing on 
those motions on June 5, 2024.  Mr. Torjagbo’s post-hearing reply brief is due to be 
filed by October 3, 2024.  On September 29, 2024, undersigned counsel experienced 
a family medical emergency that required immediate travel out-of-state.  
Undersigned counsel has not yet returned to work.  Therefore, undersigned counsel 
Case 1:22-cr-00171-MLB-RDC     Document 119     Filed 10/03/24     Page 1 of 4

 
 
2 
needs additional time to prepare the reply brief in support of Mr. Torjagbo’s motion 
and amended motion to suppress statements.   
Undersigned counsel has communicated with counsel for the Government, 
John Russell Phillips, regarding this request for an extension of time.  Mr. Phillips 
has informed undersigned counsel that he is not opposed to this motion.  
Undersigned counsel posits that the time covered by this requested extension of 
time would be excludable under the provisions of the Speedy Trial Act, 18 U.S.C. § 
3161.  18 U.S.C. § 3161(h)(1)(D) excludes delay resulting from any pretrial motion, 
from the filing of the motion through the conclusion of the hearing on, or other prompt 
disposition of, such motion. 18 U.S.C. § 3161(h)(1)(D).  Subsections 3161(h)(7)(A) 
and (h)(7)(B)(iv) authorize exclusion of delay based upon a finding that the ends of 
justice outweigh the best interests of the public and the defendant in a speedy trial, 
such as where the delay provides reasonable time necessary for effective preparation 
by counsel, taking into account the exercise of due diligence. See 18 U.S.C. §§ 
3161(h)(7)(A) & (h)(7)(B)(iv). 
WHEREFORE, Mr. Torjagbo respectfully requests that this motion be granted. 
 
 
Case 1:22-cr-00171-MLB-RDC     Document 119     Filed 10/03/24     Page 2 of 4

 
 
3 
 
Dated: This 3rd day of October, 2024. 
 
 
 
 
 
 
Respectfully submitted, 
 
 
 
s/ Kendal D. Silas                 
 
 
 
 
 
 
 
KENDAL D. SILAS 
 
State Bar of Georgia No. 645959 
 
Attorney for CARL TORJAGBO 
 
Federal Defender Program, Inc. 
Suite 1500, Centennial Tower 
101 Marietta Street, N.W. 
Atlanta, GA 30303; 404/688-7530 
Case 1:22-cr-00171-MLB-RDC     Document 119     Filed 10/03/24     Page 3 of 4

 
 
CERTIFICATE OF SERVICE 
 
I hereby certify that the foregoing Unopposed Motion for Extension of Time to 
File Post-Hearing Reply Brief was electronically filed this day with the Clerk of Court 
using the CM/ECF system, which will automatically send email notification of such 
filing to the following: 
 
John Russell Phillips, Esq. 
 
Assistant United States Attorney 
Northern District of Georgia 
Federal Courthouse, Ste. 600  
75 Ted Turner Drive, S.W. 
Atlanta, GA 30303 
 
Dated: This 3rd day of October, 2024. 
 
 
s/ Kendal D. Silas                           
 
 
 
 
 
 
 
KENDAL D. SILAS, Esq. 
Attorney for CARL TORJAGBO 
Case 1:22-cr-00171-MLB-RDC     Document 119     Filed 10/03/24     Page 4 of 4

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