Court filing
First Motion for Extension for self-surrender by Craig David Davis — USA v. Davis (Dkt. 61, E.D. Va.)
Filed April 24, 2025 in USA v. Davis; one of 63 filings from this case.
Record facts
| Court | U.S. District Court for the Eastern District of Virginia |
|---|---|
| Filed | 2025-04-24 |
U.S. District Court for the Eastern District of Virginia · No. 1:24-cr-00040-PTG · Doc. 61 · 2025-04-24 · Docket on CourtListener
Full text
UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF VIRGINIA
Alexandria Division
____________________________________
United States of America,
:
:
v.
:
Case No. 1:24-cr-00040-PTG-1
:
Craig Davis,
:
Defendant.
:
____________________________________:
MOTION TO DELAY SELF-TURN IN
COMES NOW the defendant, Craig Davis, by counsel and moves this Honorable Court to
allow for a brief delay in Mr. Davis’s self-turn in to the Bureau of Prisons from April 29, 2025 and
allow Defendant an additional 30-45 days. He states the following in support of his motion:
1. Defendant pled guilty before this Court on August 24, 2024, to Count I of the
superseding indictment.
2. The court sentenced Mr. Davis on March 6, 2025, to a period of incarceration of 93
months and allowed Mr. Davis to self-surrender by April 29, 2025.
3. Defendant has remained on bond pending his self-surrender without issue.
4. On April 3, 2025, Mr. Davis’s father, Roger, stopped communicating with any
family members and was not found in his home. He was missing until about April
10th, 2025, when Mr. Davis realized he had been arrested. After his release, and
within days, he was rearrested for a traffic incident and then committed under a
psychiatric hold at Park Royal Psychiatric Hospital in Fort Myers, Florida.
5. Mr. Davis’s father remains under a psychiatric hold till date but will need
intervention and to be placed into a care facility upon release.
Case 1:24-cr-00040-PTG Document 61 Filed 04/24/25 Page 1 of 3 PageID# 346
6. Roger is no longer able to live alone as he had done up until April and Mr. Davis
requests the Court for a brief delay in his turn-in date given the circumstances to
allow for him to put into place structures for his father prior to the commencement
of his lengthy prison sentence.
7. Mr. Davis was Roger’s sole caretaker for the last several years.
8. Mr. Davis would need to facilitate the sale of Roger’s home and vehicle, sell all
belongings, and find a care facility for Roger to move into upon release from the
hospital. Currently, Mr. Davis is speaking to five different elder-care facilities to
ensure a home for Roger upon release.
9. Unfortunately, this occurred close to Mr. Davis’s turn in date and has left him in a
crisis trying to sell the home, sell his belongings, finalize a care facility for his
father, and get him settled in it all before his impending self-surrender date of April
29, 2025.
10. Given the nature of the medical emergency, it would be impossible for Roger, a 76-
year-old man, to do this alone, without Mr. Davis’s help.
11. WHEREFORE, the Defendant respectfully requests a brief delay in his self-
surrender date to make plans for his father’s care prior to his prison sentence.
Given the urgent nature of the request, Counsel is available for a hearing on April
28th or 29th, 2025.
Dated: April 24, 2024
Respectfully Submitted,
/s/
Farheena Siddiqui
Virginia Bar No. 92522
Moore, Christoff & Siddiqui
Case 1:24-cr-00040-PTG Document 61 Filed 04/24/25 Page 2 of 3 PageID# 347
526 King St., Suite 506
Alexandria, VA 22314
Email: fsiddiqui@moorechristoff.com
Phone: 703-535-7809
Fax: 571-223-5234
Counsel for Defendant
CERTIFICATE OF SERVICE
I hereby certify that on the 24th day of April 2025, I electronically filed the foregoing
with the Clerk of Court Using the CM/ECF system, which will then send a notification of such
filing (NEF) to:
David Alexander Peters (david.peters2@usdoj.gov)
Kathleen Robeson (kathleen.robeson@usdoj.gov)
Drew Bradylyons (drew.bradylyons@usdoj.gov)
DOJ-USAO
2100 Jamieson Ave
Alexandria, VA 22314
703-299-3902
Email: alexander.amico@usdoj.gov
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
___/s/
Farheena Siddiqui
Virginia Bar No. 92522
Moore, Christoff & Siddiqui
526 King St., Suite 506
Alexandria, VA 22314
Email: fsiddiqui@moorechristoff.com
Phone: 703-535-7809
Fax: 571-223-5234
Counsel for Defendant
Case 1:24-cr-00040-PTG Document 61 Filed 04/24/25 Page 3 of 3 PageID# 348File and source
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