Court filing
Motion for Extension of Time to April 20, 2023 — USA v. Buck (Dkt. 46, S.D. Ga.)
Filed February 24, 2023 in USA v. Buck; one of 69 filings from this case.
Record facts
| Court | U.S. District Court for the Southern District of Georgia |
|---|---|
| Filed | 2023-02-24 |
U.S. District Court for the Southern District of Georgia · No. 4:22-cr-00065-RSB-CLR · Doc. 46 · 2023-02-24 · Docket on CourtListener
Full text
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
MOTION TO EXTEND DATE
TO
SELF REPORT
Now comes the Defendant, Dara Buck, requesting an Order of the Court to extend the
Court-ordered date for the Defendant to self-report to the custody of the Bureau of Prisons.
Grounds for the motion are as follows:
WHEREAS, Mrs. Buck has submitted records to the Court indicating she has a number of
very serious health issues which, according to the US Center for Disease Control (CDC), place her
at high risk of death or very serious illness if infected with COVID-19, and
WHEREAS, due to these health issues, Mrs. Buck needs to plan and prepare with her local
doctors before her upcoming prison sentence by making final appointments with her treating local
physicians, and
WHEREAS, Mrs. Buck is working diligently to make appointments with her local
physicians during the month of March, and
WHEREAS, Mrs. Buck is the sole parent in charge of raising her children and would like
additional time to make sure her estate is in order, and
WHEREAS, Mrs. Buck has a daughter that lives on the West Coast that has decided to
leave her residence and move home to help prepare and maintain Mrs. Buck’s home with her
Case 4:22-cr-00065-RSB-CLR Document 46 Filed 02/24/23 Page 1 of 3
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younger children and has not yet arrived to help, and
WHEREAS, Mrs. Buck is working day and night to sell all of her other assets so that her
family can keep the home residence and continue to reside there and work until Mrs. Buck returns
home from her prison sentence, and
WHEREAS, Mrs. Buck has not previously made a request to extend her self-report to the
Bureau of Prisons, and
WHEREAS, attorney for Mrs. Buck has discussed this with the Assistant United States
Attorney and the Government takes no position on the requested relief, and
NOW THEREFORE, the Defendant respectfully requests this Honorable Court grant an
extension of forty-five (45) days to Defendant Dara Buck’s existing deadline of March 6, 2023,
to report to the United States Bureau of Prisons.
Respectfully submitted,
s/ Jim May
Jim May (Pro Hac Vice)
Fed I.D #: 11355
WYCHE, PA
807 Gervais Street, Suite 301
PO Box 12447
Columbia, South Carolina 29221
Telephone: 803-254-6542
Facsimile: 803-254-6544
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
Case 4:22-cr-00065-RSB-CLR Document 46 Filed 02/24/23 Page 2 of 3
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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
DARA BUCK
Case 4:22-cr-00065-RSB-CLR Document 46 Filed 02/24/23 Page 3 of 3File and source
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