Professional Documents
Culture Documents
Comes now the Defendant, Ronnie Gilley, by and through his undersigned
attorneys, and hereby moves this Honorable Court for a continuance of the hearing on the
scheduled for January 31, 2011. As grounds in support thereof, Defendant states as
follows:
condition requiring home detention with GPS monitoring, with certain exceptions
allow Mr. Gilley to travel to Birmingham, Alabama as a result of a medical situation that
3. Mr. Gilley spent the greater part of January 27-28, 2011 consulting with
physicians in Birmingham regarding such medical situation. Mr. Gilley has now learned
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the medical situation will require further consultation and treatment during the week of
4. Counsel will be submitting via facsimile to only the Court, counsel for the
Government and Mr. Gilley's pre-trial services officer additional factual information in
support of this request, with the anticipation the Court will file the materials under seal as
deemed appropriate.
pre-trial services officer that Mr. Gilley has strictly complied with all of the conditions of
Respectfully submitted,
OF COUNSEL:
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CERTIFICATE OF SERVICE
I hereby certify that I have on this the 28th day of January, 2011, filed the
foregoing with the Clerk of Court via CM/ECF and an electronic copy of the same has
been sent to the following:
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