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Court filing — United States v. Bock et al. (Feeding Our Future) (Dkt. 846, D. Minn.)
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CASE 0:22-cr-00223-NEB-DTS Doc. 846 Filed 04/27/26 Page 1 of 2
UNITED STATES DISTRICT COURT
DISTRICT OF MINNESOTA
United States of America, Case No. 22-CR-00223 (NEB/DTS)
Plaintiff, DEFENDANT ABDI NUR SALAH’S
v. MOTION FOR ADDITIONAL TIME
TO FILE OBJECTIONS AND
Abdi Nur Salah (6), PROPOSED AMENDMENTS TO
PRELIMINARY PRESENTENCE
Defendant. INVESTIGATION REPORT
Defendant Abdi Nur Salah, by and through his undersigned counsel, Brian
Toder, respectfully requests additional time to file his objections and proposed
amendments to the preliminary Presentence Investigation Report (“PPSR”)(Dkt.
834), presently due April 28, 2026. More specifically, Mr. Salah seeks a new
deadline of May 28, 2025.
The grounds for this motion are that counsel has determined that he now
needs to acquire a transcript of the change-of-plea hearing and additional time to
adequately address unexpected issues in the PPSR.
Counsel for the government has authorized your movant to represent to
the Court that the United States has no objection to the relief sought.
Respectfully submitted,
Dated: April 27, 2026
CHESTNUT CAMBRONNE PA
CASE 0:22-cr-00223-NEB-DTS Doc. 846 Filed 04/27/26 Page 2 of 2
By /s/ Brian N. Toder____________
Brian N. Toder, #17869X
100 Washington Avenue South
Suite 1700
Minneapolis, MN 55401
Tel: (612) 339-7300
Fax: (612) 336-2940
btoder@chestnutcambronne.com
ATTORNEYS FOR DEFENDANT
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