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Home Court filings USA v. Buck Consent Motion to Continue by James Hunter May as to Dara Buck. Responses due by 7/1/2022 — USA v. Buck (Dkt. 14, S.D. Ga.)

Court filing

Consent Motion to Continue by James Hunter May as to Dara Buck. Responses due by 7/1/2022 — USA v. Buck (Dkt. 14, S.D. Ga.)

Filed June 17, 2022 in USA v. Buck; one of 69 filings from this case.

Record facts

CourtU.S. District Court for the Southern District of Georgia
Filed2022-06-17

U.S. District Court for the Southern District of Georgia · No. 4:22-cr-00065-RSB-CLR · Doc. 14 · 2022-06-17 · Docket on CourtListener

Full text

1 
 
IN THE UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF GEORGIA 
SAVANNAH DIVISION 
 
 
UNITED STATE OF AMERICA 
 
                                     Plaintiff, 
 
vs. 
 
DARA BUCK, a.k.a DARA BUTLER, 
 
                                     Defendant 
 
 
Case No. 4:22-CR-00065-RSB-CLR 
 
CONSENT MOTION  
FOR CONTINUANCE  
  
 
Defendant, Dara Buck a.k.a. Dara Butler (“Buck”), by and through her undersigned 
counsel, hereby moves to continue the arraignment hearing currently scheduled for June 23, 2022 
to a time in the month of July, 2022 when the arraignment hearing and the Rule 11 guilty plea 
hearing can be held on a single date.  Defendant has been advised and consents to this motion.  
The foregoing request for continuance of the arraignment hearing along with the request to conduct 
the arraignment hearing and Rule 11 guilty plea hearing on the same day is for the following 
reasons: 
1. 
Counsel for the Defendant, Jim May and Peter McCoy have prior commitments; 
and  
2. 
Defendant Buck, Attorney Jim May and Attorney Peter McCoy all reside out of 
district which would make scheduling both hearings on the same day beneficial. 
3. 
The Government has been consulted and consents to this motion.  
WHEREFORE, for the foregoing reasons, and with consent of the Government, 
Defendant moves this Court for: 
Case 4:22-cr-00065-RSB-CLR     Document 14     Filed 06/17/22     Page 1 of 2

2 
 
1. A continuance of the arraignment hearing in this to a time in the month of July, 2022; 
and 
2. The arraignment hearing and Rule 11 guilty plea hearing be scheduled for the same 
day. 
 
Respectfully submitted, 
 
 
 
 
 
 
 
s/    Jim May                                       
Jim May (Pro Hac Vice) 
Fed ID: 11355 
WYCHE, PA 
PO Box 12447 
Columbia, South Carolina 29221 
Phone:  803-254-6542 
Email:  jmay@wyche.com 
 
Peter M. McCoy, Jr. (Pro Hac Vice) 
Fed ID: 9896 
MCCOY LAW GROUP, LLC 
PO Box 12247 
Charleston, SC  29401 
Phone: 843-459-8835 
peter@mccoylawgrp.com 
 
Edgar D. Bueno  
Georgia Bar No:  363916 
Matt Wilmot 
Georgia Bar No. 972442 
NELSON MULLINS 
201 17th Street, NW, Suite 1700 
Atlanta, GA  30363 
Phone (404) 322-6451 
Email:  edgar.bueno@nelsonnullins.com 
Email:  matt.wilmot@nelsonmullins.com 
 
 
ATTORNEYS FOR DEFENDANT 
June 17, 2022 
 
Case 4:22-cr-00065-RSB-CLR     Document 14     Filed 06/17/22     Page 2 of 2

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