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Home Court filings USA v. Harun USA v. Harun — U.S. District Court, Southern District of Georgia Second Motion for Leave of Absence — USA v. Harun (Dkt. 80, S.D. Ga.)

Court filing

Second Motion for Leave of Absence — USA v. Harun (Dkt. 80, S.D. Ga.)

Filed January 24, 2023 in USA v. Harun; one of 84 filings from this case.

Record facts

CourtU.S. District Court for the Southern District of Georgia
Filed2023-01-24

U.S. District Court for the Southern District of Georgia · No. 3:22-cr-00009-DHB-BKE · Doc. 80 · 2023-01-24 · Docket on CourtListener

Full text

Page 1 of 3 
UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF GEORGIA 
DUBLIN DIVISION 
UNITED STATES OF AMERICA 
) 
) 
v. 
) 
CASE NO. 3:22-CR-09 
) 
GLADYS HARUN 
) 
) 
Defendant. 
) 
 
) 
MOTION FOR LEAVE OF ABSENCE 
COMES NOW, D. Robert Busbee, Counsel for the Defendant, Gladys Harun, in the above 
styled case.  Pursuant to S.C. Ga. L. Dr. R. 83.9, and hereby respectfully moves this Honorable 
Court to grant him leave of absence in the instant case for the following dates: 
March 11, through March 19, 2023 
April 20, through April 21, 2023  
June 24, through July 5, 2023 
September 2, through September 17, 2023 
December 23, 2023, through January 7, 2024 
During that time, undersigned counsel will be away from the practice of law for personal 
leave. 
WHEREFORE, undersigned counsel prays that his leave of absence by granted. 
[SIGNATURE ON FOLLOWING PAGE] 
 
Case 3:22-cr-00009-DHB-BKE     Document 80     Filed 01/24/23     Page 1 of 3

Page 2 of 3 
Respectfully submitted this 24th day of January, 2023. 
 
 
By: /s/ D. Robert Busbee 
 
D. Robert Busbee, Esq. 
Ga. Bar No. 186336 
Attorney for Defendant Gladys Harun 
Busbee Law Group, LLC 
8 East Grady Street 
Statesboro, Georgia 30458 
(912) 225-1311 - Office 
(866) 320-7606 - Fax 
drb@busbeelawgroup.com 
 
Case 3:22-cr-00009-DHB-BKE     Document 80     Filed 01/24/23     Page 2 of 3

Page 3 of 3 
UNITED STATES DISTRICT COURT 
SOUTHERN DISTRICT OF GEORGIA 
DUBLIN DIVISION 
UNITED STATES OF AMERICA 
) 
) 
v. 
) 
CASE NO. 3:22-CR-09 
) 
GLADYS HARUN 
) 
) 
Defendant. 
) 
 
) 
CERTIFICATE OF SERVICE 
I hereby certify that I have, this day, served the within and foregoing MOTION FOR 
LEAVE OF ABSENCE on behalf of the Defendant GLADYS HARUN upon counsel of record 
for all interested parties in this case via the United States District Court for the Southern District 
of Georgia’s CM/ECF System. 
Respectfully submitted this 24th day of January, 2023. 
 
 
 
By: /s/ D. Robert Busbee 
 
D. Robert Busbee, Esq. 
Ga. Bar No. 186336 
Attorney for Defendant Gladys Harun 
Busbee Law Group, LLC 
8 East Grady Street 
Statesboro, Georgia 30458 
(912) 225-1311 - Office 
(866) 320-7606 - Fax 
drb@busbeelawgroup.com 
Case 3:22-cr-00009-DHB-BKE     Document 80     Filed 01/24/23     Page 3 of 3

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