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Home Court filings USA v. Torjagbo United States v. Carl Delano Torjagbo — N.D. Ga., No. 1:22-cr-171-MLB Unopposed Motion for Extension of Time to File Responses to Motions in Limine — USA v. Torjagbo (Dkt. 164, N.D. Ga. No. 1:22-cr-00171)

Court filing

Unopposed Motion for Extension of Time to File Responses to Motions in Limine — USA v. Torjagbo (Dkt. 164, N.D. Ga. No. 1:22-cr-00171)

Filed February 6, 2025 in USA v. Torjagbo; one of 189 filings from this case.

Record facts

CourtU.S. District Court for the Northern District of Georgia
Filed2025-02-06

U.S. District Court for the Northern District of Georgia · No. 1:22-cr-00171-MLB-RDC · Doc. 164 · 2025-02-06 · Docket on CourtListener

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 
CARL DELANO TORJAGBO  
 
) 
                                    ) 
 
UNOPPOSED MOTION FOR EXTENSION OF TIME 
TO FILE RESPONSES TO MOTIONS IN LIMINE 
 
COMES NOW Defendant, CARL DELANO TORJAGBO, by and through 
undersigned counsel, and moves this Court to extend by two (2) weeks the deadline 
for filing responses to the parties’ respective motions in limine.  In support thereof, 
Mr. Torjagbo states the following. 
In the Court’s Order Setting Trial, doc. 138, the Court directed that the parties 
file motions in limine by January 28, 2025, file responses to the motions in limine 
by February 11, 2025, and file any replies to the responses by February 25, 2025.  
A pretrial conference is scheduled for March 18, 2025.  Trial is scheduled for April 
28, 2025. 
Both Mr. Torjagbo and the Government have filed motions in limine, docs. 
160, 161.  Mr. Torjagbo asks that the parties’ responses be made due on February 
Case 1:22-cr-00171-MLB-RDC     Document 164     Filed 02/06/25     Page 1 of 4

 
 
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25 and that the replies be made due on March 11.  The Defense needs the additional 
time for several reasons.  First, the Defense needs additional time to review a recent 
discovery production of data extracted from a cell phone that the Government seized 
from Mr. Torjagbo.  Undersigned counsel certain needs to review certain records 
and documents and to determine whether and to what extent those materials should 
be produced to the Government.  Undersigned counsel is also awaiting a response 
to a certain subpoena for documents and records.  The parties’ motions in limine 
may need to be supplemented as a result of these matters.   
A hearing is scheduled for February 12, 2025 on Mr. Torjagbo’s pending pro 
se motion to dismiss and replace appointed counsel.  Pending the outcome of the 
hearing, undersigned counsel will have greater clarity on whether to undertake 
certain actions on Mr. Torjagbo’s behalf. 
Undersigned counsel has communicated with counsel for the Government, 
Kelly Connors, regarding this motion.  Ms. Connors has informed undersigned 
counsel that she is not opposed to this motion.  Additionally, undersigned counsel 
posits that this request for extension of time does not impact the Speedy Trial 
calculation under 18 U.S.C. § 3161. 
WHEREFORE, Mr. Torjagbo asks that this motion be granted. 
 
 
Case 1:22-cr-00171-MLB-RDC     Document 164     Filed 02/06/25     Page 2 of 4

 
 
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DATED: This 6th day of February, 2025. 
 
 
 
 
 
Respectfully submitted, 
 
S/ Kendal D. Silas                   
KENDAL SILAS 
State Bar No. 645959 
Attorney for CARL TORJAGBO 
 
Federal Defender Program, Inc. 
101 Marietta Street, N.W., Suite 1500 
Atlanta, GA 30303 
404/688-7530 
Case 1:22-cr-00171-MLB-RDC     Document 164     Filed 02/06/25     Page 3 of 4

 
 
CERTIFICATE OF SERVICE 
 
This is to certify that I have this day served a copy of the Unopposed Motion 
for Extension of Time to File Responses to Motions in Limine, formatted in Times 
New Roman 14-pt., upon: 
Kelly K. Connors, Esq. 
Assistant United States Attorney 
Federal Courthouse, Ste. 600 
75 Ted Turner Drive, S.W. 
Atlanta, GA 30303 
 
Nicholas Evert, Esq. 
Assistant United States Attorney 
Federal Courthouse, Ste. 600 
75 Ted Turner Drive, S.W. 
Atlanta, GA 30303 
 
by electronically filing the same through the Court’s ECF system. 
 
Dated:  This 6th day of February, 2025. 
 
 
s/ Kendal D. Silas                   
KENDAL SILAS, Esq. 
Attorney for CARL TORJAGBO 
 
 
Case 1:22-cr-00171-MLB-RDC     Document 164     Filed 02/06/25     Page 4 of 4

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