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Warnock 97 Continuance Motion

The defendant filed an unopposed motion to continue the trial. The defendant waived their right to a speedy trial and requested a continuance to a later date. The prosecution did not object to the request.

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100% found this document useful (1 vote)
2K views3 pages

Warnock 97 Continuance Motion

The defendant filed an unopposed motion to continue the trial. The defendant waived their right to a speedy trial and requested a continuance to a later date. The prosecution did not object to the request.

Uploaded by

the kingfish
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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Case 3:21-cr-00130-HTW-ASH Document 97 Filed 07/17/24 Page 1 of 3

IN THE UNITED STATES DISTRICT COURT


FOR THE SOUTHERN DISTRICT OF MISSISSIPPI
NORTHERN DIVISION

UNITED STATES OF AMERICA

V. CRIMINAL NO.: 3:21-CR-00130-HTW-ASH

RUDOLPH M. (“Rudy”) WARNOCK, JR., et al. DEFENDANT

UNOPPOSED MOTION TO CONTINUE TRIAL

COMES NOW, the Defendant, RUDOLPH M. (“Rudy”) WARNOCK, JR., by and

through undersigned counsel and files this his Unopposed Motion to Continue and in support of

same would respectfully state unto this Honorable Court the following, to-wit:

1. Undersigned has conferred with counsel for the government and they have no objection

to this request.

2. The Defendant, after being fully advised of his right to a speedy trial pursuant to the

Speedy Trial Act, 18 U.S.C. §3161, hereby waives said right with respect to the time that

may result pursuant to this motion, if granted.

WHEREFORE PREMISES CONSIDERED, the Defendant, RUDOLPH M. (“Rudy”)

WARNOCK, JR., by and through undersigned counsel respectfully requests that this Unopposed

Motion to Continue be received and considered by this Honorable Court and after same an Order

issued granting a continuance until a later date.

THIS, the 17th day of July, 2024.

Respectfully Submitted,

RUDOLPH M. (“Rudy”) WARNOCK, JR.

BY: /s/ John M. Colette


Attorney for Defendant

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Case 3:21-cr-00130-HTW-ASH Document 97 Filed 07/17/24 Page 2 of 3

Of Counsel:

Thomas J. Spina (SPI0004)


1330 21st Way South, Suite 200
Birmingham, Alabama 35205

JOHN M. COLETTE, MSB #6376


John M. Colette, PLLC
501 South State Street
Jackson, Mississippi 39201
(601)355-6277 Office
(601)355-6283 Facsimile
Email: [email protected]

2
Case 3:21-cr-00130-HTW-ASH Document 97 Filed 07/17/24 Page 3 of 3

CERTIFICATE OF SERVICE

I, John M. Colette, do hereby certify that I have on this date filed the foregoing with the

clerk, and have served a true and correct copy of same via the Court’s electronic filing system on

all parties of record.

THIS, the 17th day of July, 2024.

/s/ John M. Colette


John M. Colette

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