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Home Court filings United States of America v. Sutton et al United States v. Kisha Sutton — S.D. W. Va., No. 2:24-cr-00192 Motion by United States of America — United States v. Sutton et al. (Dkt. 391, S.D. W. Va.)

Court filing

Motion by United States of America — United States v. Sutton et al. (Dkt. 391, S.D. W. Va.)

Filed September 18, 2025 in United States v. Sutton et al.; one of 133 filings from this case.

Record facts

CourtU.S. District Court for the Southern District of West Virginia
Filed2025-09-18

U.S. District Court for the Southern District of West Virginia · No. 2:24-cr-00192 · Doc. 391 · 2025-09-18 · Docket on CourtListener

Full text

UNITED STATES DISTRICT COURT  
 
SOUTHERN DISTRICT OF WEST VIRGINIA 
CHARLESTON 
 
 
UNITED STATES OF AMERICA 
 
 
v. 
 
 
 
 
 
 
CRIMINAL NO. 2:24-cr-00192-1 
 
 
KISHA SUTTON 
 
 
GOVERNMENT’S MOTION TO CONTINUE  
ALL SENTENCING-RELATED DEADLINES BY APPROXIMATELY THIRTY DAYS 
 
Comes now the United States of America, by Jonathan T. 
Storage, Assistant United States Attorney for the Southern 
District of West Virginia, and respectfully submits its motion to 
continue all sentencing-related deadlines by approximately 30 
days. In support of its motion, the government states the 
following: 
1. 
On 
September 
25, 
2025, 
the 
draft 
Presentence 
Investigation Report is due to counsel from the Probation Office. 
ECF No. 330 at 1. 
2. 
The extent of the defendant’s participation in COVID-19 
federal program fraud is immense, involving over 20 separate loans.  
3. 
The United States Attorney’s Office has been working 
with the U.S. Small Business Administration to retrieve records 
relating to those loans that do not have a nexus to the Southern 
Case 2:24-cr-00192     Document 391     Filed 09/18/25     Page 1 of 3 PageID #: 2570

2 
 
District of West Virginia but were nonetheless fraudulently 
obtained with Ms. Sutton’s assistance.  
4. 
The information gathering has been slow, and the 
government has not been able to acquire the necessary documents in 
time for the Probation Office to complete an accurate draft 
Presentence Investigation Report.  
5. 
The 
government 
believes 
that 
a 
continuance 
of 
approximately 30 days will be sufficient for all relevant records 
to be received and shared with the Probation Office and defense 
counsel. 
For the reasons stated herein, the government respectfully 
requests that the Court continue all sentencing-related deadlines 
by approximately 30 days.  
 
Respectfully submitted, 
 
LISA G. JOHNSTON 
Acting United States Attorney 
 
 
 
 
 
By: 
s/Jonathan T. Storage            
JONATHAN T. STORAGE 
Assistant United States Attorney 
WV State Bar No. 12279 
300 Virginia Street, East 
Room 4000 
Charleston, WV 25301 
Telephone: 304-345-2200 
Fax: 304-347-5104 
E-mail: Jonathan.Storage@usdoj.gov  
 
 
Case 2:24-cr-00192     Document 391     Filed 09/18/25     Page 2 of 3 PageID #: 2571

3 
 
CERTIFICATE OF SERVICE 
 
It is hereby certified that the foregoing “GOVERNMENT’S 
MOTION 
TO 
CONTINUE 
ALL 
SENTENCING-RELATED 
DEADLINES 
BY 
APPROXIMATELY THIRTY DAYS” has been electronically filed and 
service has been made on opposing counsel by virtue of electronic 
mail this the 18th day of September, 2025, to: 
 
Connor D. Robertson, Esq. 
2702 Main Street 
Hurricane, WV 25526 
Email: cdr@croblaw.com 
 
 
 
s/Jonathan T. Storage            
JONATHAN T. STORAGE 
Assistant United States Attorney 
WV State Bar No. 12279 
300 Virginia Street, East 
Room 4000 
Charleston, WV 25301 
Telephone: 304-345-2200 
Fax: 304-347-5104 
E-mail: Jonathan.Storage@usdoj.gov  
 
 
 
 
 
Case 2:24-cr-00192     Document 391     Filed 09/18/25     Page 3 of 3 PageID #: 2572

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