Court filing
Consent Motion for Extension of Time to Voluntarily Surrender by Harrescia Hopkins — USA v. Hopkins (Dkt. 42, N.D. Ga.)
Filed August 4, 2023 in USA v. Hopkins; one of 62 filings from this case.
Record facts
| Court | U.S. District Court for the Northern District of Georgia |
|---|---|
| Filed | 2023-08-04 |
U.S. District Court for the Northern District of Georgia · No. 1:22-cr-00284-SEG-CMS · Doc. 42 · 2023-08-04 · Docket on CourtListener
Full text
1 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION UNITED STATES OF AMERICA ) ) v. ) CRIMINAL ACTION NO. ) HARRESCIA HOPKINS ) 1:22-CR-0284-SEG-CMS CONSENT MOTION TO EXTEND VOLUNTARY SURRENDER COMES NOW Defendant, Harrescia Hopkins, by and through undersigned counsel, and moves this Court for an extension of her voluntary surrender until Monday, October 2, 2023. In support of this motion, counsel shows the following: 1. Mr. Hopkins has remained on bond since this case was initiated. Ms. Hopkins has been granted voluntary surrender by this Court. She received a letter telling her to turn herself into custody in Kentucky on Friday, July 28, 2023. This Court extended her voluntary surrender date by two weeks, until August 11, 2023 because she needed to undergo a medical procedure. 2. Unfortunately, Ms. Hopkins’s pathology report showed precancerous cells, which requires additional surgery to prevent the progression to becoming an invasive malignancy. Medical documentation will be provided with a courtesy copy Case 1:22-cr-00284-SEG-CMS Document 42 Filed 08/04/23 Page 1 of 2 2 of this motion. 3. Ms. Hopkins is scheduled for surgery on August 16, 2023 and for a follow-up with her doctor on September 18, 2023. Therefore, she requests that voluntary surrender be extended until October 2, 2023. 4. Counsel has conferred with AUSA Garret Bradford, who consents to the granting of this motion. WHEREFORE, Defendant requests that this Court grant his request to extend his voluntary surrender until October 2, 2023 at noon. Dated this 4th day of August, 2023. Respectfully submitted, s/ Mildred Geckler Dunn, Esq. MILDRED GECKLER DUNN State Bar Number: 323373 Attorney for Harrescia Hopkins Federal Defender Program, Inc. Suite 1500; Centennial Tower 101 Marietta Street NW Atlanta, Georgia 30303 404/688-7530 millie_dunn@fd.org Case 1:22-cr-00284-SEG-CMS Document 42 Filed 08/04/23 Page 2 of 2
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- gov.uscourts.gand.306194.42.0.pdf
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- 145,043 bytes
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