Court filing
MOTION to Continue Sentencing by Denesseria Slaton — USA v. Slaton - Denesserie Slaton (Dkt. 21)
Record facts
| Court | U.S. District Court for the Northern District of Georgia |
|---|---|
| Filed | 2022-04-01 |
U.S. District Court for the Northern District of Georgia · No. 1:21-cr-00179-JPB · Doc. 21 · 2022-04-01 · Docket on CourtListener
Summary
A Defendant's Motion to Continue Sentencing filed April 1, 2022 by Denesseria Slaton, also known as Denesserie Slaton, in United States of America v. Slaton, No. 1:21-cr-00179-JPB, in the U.S. District Court for the Northern District of Georgia, Atlanta Division, as Document 21. The motion asks the court to continue the sentencing hearing scheduled for April 13, 2022 and requests a 90-day continuance. It cites a scheduled medical procedure and recovery period, and states that the defendant is working toward a post-conviction resolution by complying with her plea agreement. It states that counsel for the United States does not oppose the request, and it is signed by defense counsel Nathan E. Fitzpatrick with a certificate of service.
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Full text
IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION UNITED STATES OF AMERICA v. DENESSERIA SLATON A/K/A DENESSERIE SLATON Case No. 1:21-CR-179 DEFENDANT’S MOTION TO CONTINUE SENTENCING COMES NOW, DENESSERIA SLATON, through undersigned counsel, and moves the Court to continue the sentencing hearing scheduled for April 13, 2022. The Defendant has a surgical procedure that is currently scheduled for May 5, 2022. This procedure was previously scheduled to take place earlier this year, but was rescheduled due to the rise of COVID-19 cases and the need for hospital bed space. The recovery time for this procedure is four to six weeks, and a continuance will give the Defendant time to recover after surgery. Also, the Defendant is currently working on a post-conviction resolution to her case by complying with her plea agreement. To promote judicial efficiency, the Defendant moves the Court for a 90-day continuance in the sentencing in this matter. Case 1:21-cr-00179-JPB Document 21 Filed 04/01/22 Page 1 of 3 2 Undersigned counsel has contacted counsel for United States, who does not oppose this request. Respectfully submitted this 1st day of April, 2022. Respectfully submitted, _________/S/______________ Nathan E. Fitzpatrick Georgia Bar Number 193119 Attorney for Ms. Slaton Fitzpatrick Firm, LLC 14 Lenox Pointe Atlanta, Georgia 30324 678-607-5550; Fax: 678-367-0101 nate@atlantasattorneys.com Case 1:21-cr-00179-JPB Document 21 Filed 04/01/22 Page 2 of 3 3 Certificate of Service I hereby certify that I have this day, I electronically transmitted the attached document to the Clerk’s Office using the CM/ECF system for filing and transmittal of a Notice of Electronic Filing to the following CM/ECF registrants: TAL C. CHAIKEN Assistant United States Attorney Georgia Bar No. 273949 NATHAN P. KITCHENS Assistant United States Attorney Georgia Bar No. 263930 600 U.S. Courthouse 75 Ted Turner Drive SW Atlanta, GA 30303 404-581-6000; Fax: 404-581-6181 SIJI MOORE Trial Attorney, Fraud Section U.S. Department of Justice N.Y. Bar No. 4803607 1400 New York Ave, NW Bond Building, 11th Floor Washington, DC 20005 202-514-2000; Fax: 202-514-3708 Case 1:21-cr-00179-JPB Document 21 Filed 04/01/22 Page 3 of 3
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