UNITED STATES DISTRICT COURT

FOR THE DISTRICT OF COLUMBIA



UNITED STATES OF AMERICA :

:

v. : Cr. Case No. xx-088-01(JMF)

:

xxxxxxxxxxxxxxx :

________________________________:



MOTION FOR EXTENSION OF TIME TO RESPOND

TO COURT'S ORDER FOR SUPPLEMENTAL BRIEF IN SUPPORT OF

MOTION FOR RETURN OF PROPERTY



xxxxxxxx, through undersigned counsel, respectfully moves this Honorable Court for an extension of time to file his supplemental brief in support of his Motion for Return Of Property. As grounds for this motion, undersigned counsel states:

1. On May 12, 1998, Mr. xxxxxxx through undersigned counsel filed a Motion For Return of Property with the United States District Court of the District of Columbia.

2. This Court received responses from Assistant United States Attorney, Mr. Robert E.L. Eaton, Jr., for the United States government, and Assistant Corporation Counsel, Mr. Andrew J. Marcus for the District of Columbia.

3. On May 14, 1998, this Court ordered that supplemental briefing by defense counsel was to to be submitted by May 29, 1998.

4. Undersigned counsel requests an extension of time until June 5, 1998, in order to be able to discuss several facts with Mr. xxxxxxx which undersigned counsel believes need review in order to complete the supplemental brief.



WHEREFORE, for all the foregoing reasons, and for any other reasons this Court may deem just and proper, undersigned counsel respectfully requests that this Motion For Extension of Time to Respond to Court's Order for Supplemental Brief In Support Of Motion for Return Of Property be granted.

Respectfully submitted,



A.J. KRAMER

FEDERAL PUBLIC DEFENDER







Barry Boss

Assistant Federal Public Defender On Behalf of Clarence xxxxxxx

625 Indiana Avenue, N.W. Washington, D.C. 20004

(202) 208-7500





CERTIFICATE OF SERVICE



This is to certify that on this 29th day of May, 1998, a copy of the foregoing Motion For Extension Of Time To Respond To Court's Order for Supplemental Brief In Support of Motion For Return Of Property has been served upon Mr. Andrew J. Marcus, Assistant Corporation Counsel, Civil Enforcement, 441 Fourth St., N.W., Washington, D.C. 20001, and Mr. Robert E.L. Eaton, Jr., Assistant United States Attorney, 555 Fourth Street, N.W. Washington, D.C. 20001.







Barry Boss





UNITED STATES DISTRICT COURT

FOR THE DISTRICT OF COLUMBIA







UNITED STATES OF AMERICA :

:

v. : Cr. Case No. 98-088-01(JMF)

:

CLARENCE xxxxxxx :

________________________________:



O R D E R



This matter having come before the Court on Mr. xxxxxxx's Motion For Extension Of Time To Respond To Court's Order For Supplemental Brief In Support Of Motion For Return Of Property, and good cause having been shown, it is this day of , 1998, it is



HEREBY ORDERED that this motion be granted, and supplemental brief be submitted by June 5, 1998.











______________________

JOHN M. FACCIOLA

United States Magistrate Judge



Copies To:

xxxx xxxxxxx

xxxxxxxxxxxxxxx

xxxxxxxxxx

Landover, MD 20706



L. Barry Boss

Assistant Federal Defender

Office of the Federal Public Defender

625 Indiana Avenue, N.W.

Washington, D.C. 20004







Andrew J. Marcus

Assistant Corporation Counsel

Civil Enforcement

441 Fourth St. N.W.

Washington, DC 20001



Robert E.L. Eaton

Assistant United States Attorney

Office of the United States Attorney

555 Fourth Street, N.W.

Washington, D.C. 20001