Pandemic Darlings The pandemic economy, in original documents
Home Court filings USA v. Gauthier Assented to Motion to Continue Trial to the 10-3-23 Trial Period by Heath Gauthier — USA v. Gauthier (Dkt. 13)

Court filing

Assented to Motion to Continue Trial to the 10-3-23 Trial Period by Heath Gauthier — USA v. Gauthier (Dkt. 13)

Filed March 27, 2023 in USA v. Gauthier; one of 37 filings from this case.

Record facts

CourtD.N.H.
Filed2023-03-27

D.N.H. · No. 1:23-cr-00015-JL-TSM · Doc. 13 · 2023-03-27 · Docket on CourtListener

Full text

1 
THE UNITED STATES DISTRICT COURT 
FOR THE DISTRICT OF NEW HAMPSHIRE 
 
UNITED STATES OF AMERICA 
] 
 
 
 
 
] 
 
 
 
v. 
] 
Cr. No. 23-cr-15-JL 
] 
 
] 
 
 
HEATH GAUTHIER  
 
 
 
ASSENTED-TO MOTION TO CONTINUE TRIAL 
 
The defendant, Heath Gauthier, through his counsel, Dorothy E. Graham, AFPD, files 
this motion respectfully requesting that the Court continue his trial and schedule the matter to the 
October 3, 2023 trial period.   
Grounds follow. 
Mr. Gauthier is facing indictment for Wire Fraud/Attempted Wire Fraud (Counts 1-6) 
and Aggravated Identity Theft (Counts 7-9).  The indictment alleges that the defendant 
fraudulently obtained or attempted to obtain PPP loans from lenders pursuant to the CARES 
ACT between February 2020 to March 2021.  At the initial appearance, the parties asked the 
Court to designate the case as complex.  The parties met with the Court on March 9, 2023 for a 
status conference.  The government intends to file the parties’ joint proposed pretrial and trial 
schedule today. 
Certification 
 
I, Dorothy E. Graham, Assistant Federal Defender, certify that (1) I have consulted with 
the defendant about the requested continuance; (2) I have explained that by seeking a 
continuance, he is waiving his constitutional and statutory rights to a speedy trial; and (3) he has 
personally assented to the continuance and; (4) I will forthwith mail him a copy of the motion to 
Case 1:23-cr-00015-JL-TSM     Document 13     Filed 03/27/23     Page 1 of 2

 
 
2 
continue.   
 
 The government, through AUSA Matthew Hunter, assents. 
Respectfully submitted, 
 
Date: March 27, 2023 
/s/ Dorothy E. Graham 
 
 
 
Dorothy E. Graham 
N.H. Bar No. 11292 
Assistant Federal Defender 
22 Bridge Street, 3rd floor 
Concord, NH 03301 
Tel. (603) 226-7360 
E-mail: Dorothy_Graham@fd.org 
 
 
 
CERTIFICATE OF SERVICE 
 
I hereby certify that the above document was served on the following person on March 
27, 2023 and in the manner specified herein: electronically served through CM/ECF to AUSA 
Matthew Hunter.   
 
/s/Dorothy E. Graham 
 
 
Dorothy E. Graham 
Case 1:23-cr-00015-JL-TSM     Document 13     Filed 03/27/23     Page 2 of 2

File and source

File
gov.uscourts.nhd.60810.13.0.pdf
Size
119,913 bytes
SHA-256
e711c04f91171702cf3ec7530a559d0fc89c0f143aeea1ad41dd734b16727474
Our copy
gov.uscourts.nhd.60810.13.0.pdf
Original
PACER (login required)
Back to top