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Home Court filings USA v. Buck Response by USA as to Dara Buck re 71 Notice (Other) — USA v. Buck (Dkt. 73, S.D. Ga.)

Court filing

Response by USA as to Dara Buck re 71 Notice (Other) — USA v. Buck (Dkt. 73, S.D. Ga.)

Filed June 25, 2024 in USA v. Buck; one of 69 filings from this case.

Record facts

CourtU.S. District Court for the Southern District of Georgia
Filed2024-06-25

U.S. District Court for the Southern District of Georgia · No. 4:22-cr-00065-RSB-CLR · Doc. 73 · 2024-06-25 · Docket on CourtListener

Full text

IN THE UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF GEORGIA 
SAVANNAH DIVISION 
 
UNITED STATES OF AMERICA 
 
v. 
 
DARA BUCK 
 
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) 
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) 
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  CR422-065 
   
   
GOVERNMENT’S REPLY IN OPPOSITION TO  
DEFENDANT’S SECOND CONSTRUED RESPONSE 
 
 
Before the Court is defendant Dara Buck’s second filing in opposition to the 
government’s motion to dismiss and in support of her pending § 2255 motion. (Doc. 
71.) Although docketed as a notice of filing addendum to defendant Dara Buck’s 
motion to vacate under 28 U.S.C. § 2255, it is unclear whether Buck intends her June 
18, 2024, filing to be an addendum, an amended § 2255 motion, a sur-reply in support 
of her original motion, or some other equivalent.  
Regardless of what Buck intends her June 18, 2024, filing to be, the 
government continues to assert Buck’s § 2255 motion should be dismissed for the 
reasons set forth in its motion to dismiss. (Docs. 69; 71.) Nothing in Buck’s second 
filing alters or in any way undermines the government’s position that she failed to 
timely file her § 2255 motion and the statute of limitations should not be tolled. The 
government stands on its motion.  
 
For the foregoing reasons, the government continues to request that 
defendant’s § 2255 motion be dismissed.  
 
(signatures on the following page) 
Case 4:22-cr-00065-RSB-CLR     Document 73     Filed 06/25/24     Page 1 of 3

2 
 
Respectfully submitted, 
 
JILL E. STEINBERG 
UNITED STATES ATTORNEY 
 
/s/ Joshua Kyle Davis 
Joshua Kyle Davis 
Assistant United States Attorney 
Georgia Bar No. 575970 
United States Attorney’s Office 
Southern District of Georgia  
P.O. Box 2017 
Augusta, Georgia 30903 
T: (706) 826-4537 
Email: kyle.davis2@usdoj.gov 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
Case 4:22-cr-00065-RSB-CLR     Document 73     Filed 06/25/24     Page 2 of 3

3 
 
CERTIFICATE OF SERVICE 
This is to certify that I have on this day served all the parties in this case in 
accordance with the notice of electronic filing (“NEF”) that was generated as a result 
of electronic filing in this Court. In addition, I mailed a paper copy via U.S. Postal 
Service to: 
 
Dara Buck, Reg. No. 10895-510 
FPC Alderson 
Federal Prison Camp 
Glen Ray Rd., Box A 
Alderson, WV 24910 
 
This June 25, 2024. 
 
 
Respectfully submitted, 
 
JILL E. STEINBERG 
UNITED STATES ATTORNEY 
 
/s/ Joshua Kyle Davis 
Joshua Kyle Davis 
Assistant United States Attorney 
Georgia Bar No. 575970 
United States Attorney’s Office 
Southern District of Georgia  
P.O. Box 2017 
Augusta, Georgia 30903 
T: (706) 826-4537 
Email: kyle.davis2@usdoj.gov 
   
 
Case 4:22-cr-00065-RSB-CLR     Document 73     Filed 06/25/24     Page 3 of 3

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