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Home Court filings USA v. Harun — U.S. District Court, Southern District of Georgia MOTION for Leave of Absence as to USA for dates of :… — USA v. Harun (Dkt. 35)

Court filing

MOTION for Leave of Absence as to USA for dates of :… — USA v. Harun (Dkt. 35)

Record facts

CourtU.S. District Court for the Southern District of Georgia
Filed2022-08-18

U.S. District Court for the Southern District of Georgia · No. 3:22-cr-00009-DHB-BKE · Doc. 35 · 2022-08-18 · Docket on CourtListener

Summary

A motion for leave of absence filed by the United States on August 18, 2022 in United States of America v. Gladys Harun, Case No: 3:22-CR-09, in the U.S. District Court for the Southern District of Georgia, Dublin Division, as Doc. 35. The motion asks the Court, pursuant to Local Rule 83.9, to grant the undersigned leave of absence from the above-captioned case for August 29, 2022 through September 2, 2022, stating that the undersigned will be out of the country on official travel on those dates. It acknowledges that the requested absence does not change or suspend any Court-ordered deadline and asks that the Court not schedule any court appearances in the matter. The one-page filing states that the motion and a proposed order will be filed on the Court's electronic case filing system, giving notice to all defense counsel of record.

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Full text

UNITED STATES DISTRICT COURT  
SOUTHERN DISTRICT OF GEORGIA 
DUBLIN DIVISION 
UNITED STATES OF AMERICA 
) 
) 
v. 
 
 
 
 
 
) 
CASE NO: 3:22-CR-09 
) 
GLADYS HARUN 
) 
UNITED STATES’ MOTION FOR LEAVE OF ABSENCE 
The United States requests, pursuant to Local Rule 83.9, that the Court grant 
the undersigned leave of absence from the above-captioned case for August 29, 2022 
through September 2, 2022.  The undersigned understands and acknowledges that 
the requested absence does not change or suspend any Court-ordered deadline.  Since 
the undersigned will be out of the country on official travel on those dates, this Motion 
requests that the Court not schedule any court appearances in the above-
captioned matter. 
This Motion and proposed order will be filed on the Court’s electronic case filing 
system, which will provide notice to all defense counsel of record. 
Respectfully submitted, 
DAVID H. ESTES 
UNITED STATES ATTORNEY 
/s/ Chris Howard 
Chris Howard 
Assistant United States Attorney 
N.Y. Bar Number 4935938 
Post Office Box 8970 
Savannah, Georgia 31412 
Telephone: (912) 201-2594 
Case 3:22-cr-00009-DHB-BKE     Document 35     Filed 08/18/22     Page 1 of 1

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