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Case 1:08-cr-20612-PAS Document 261             Entered on FLSD Docket 04/21/2010 Page 1 of 4



                             UNITED STATES DISTRICT COURT
                             SOUTHERN DISTRICT OF FLORIDA

                                   Case No. 08-20612-CR-SEITZ



  UNITED STATES OF AMERICA

  vs.

  TRAIAN BUJDUVEANU,

                    Defendant.
  ________________________________/


              GOVERNMENT’S MOTION FOR EXTENSION OF TIME
    TO FILE RESPONSE TO DEFENDANT’S MOTION FOR RETURN OF PROPERTY

         COMES NOW, the United States of America, by and through the undersigned Assistant

  United States Attorney, and respectfully moves this Court for an extension of time to file a

  Response to Defendant’s Motion for Return of Property, filed April 6, 2010 (DE:259), and states

  as follows:

         On April 6, 2010, Defendant Traian Bujduveanu filed a Motion for Return of Property.

  Although Defendant Bujduveanu raises numerous matters in said Motion, the relief sought therein

  is a request for the return of certain property seized from Defendant Bujduveanu’s residence during

  execution of a search warrant at the residence in June 2008. Specifically, Defendant appears to seek

  the return of the Defendant’s wife’s computers, cash found in his residence, a black leather

  briefcase, two laptop cases, and two computer memory sticks. The Government has worked

  diligently to locate each of the items noted in the Defendant’s Motion. The Government notes that

  there is a substantial amount of evidence in this case which is spread among multiple law

  enforcement agency storage facilities. To date, the majority of the items have been identified and
Case 1:08-cr-20612-PAS Document 261             Entered on FLSD Docket 04/21/2010 Page 2 of 4



  located.



         In light of recent law in this Circuit (see, e.g. U.S. v. Juan Carlos Palacios Gonzalez, Case

  No. 09-14538 (11th Cir. April 15, 2010)), the Government is required to submit affidavits in support

  of its response regarding the property at issue. At this time, the Government is working to obtain

  affidavits and supporting documentation from the appropriate law enforcement agents and evidence

  custodians regarding the property at issue. However, given that some of the property has only been

  identified or located as recently as this week, the Government has not yet had the opportunity to

  obtain all of the necessary documentation.

         Therefore, the Government is now seeking an extension of time in which to respond to

  Defendant’s Motion to give the Government sufficient time to complete the necessary collection and

  compilation of information, affidavits, and documentation. Undersigned counsel for the United

  States believes that we will have all of the necessary paperwork within approximately two weeks.

  This Court issued an Order, dated April 7, 2010, requiring a Response to Defendant’s Motion be

  filed by April 23, 2010 (DE:260). The United States is therefore seeking a two-week extension of

  time from April 23, 2010, to respond to the Defendant’s Motion for Return of Property.

      The requested extension of time is not for the purpose of delay, but rather to ensure a proper,

  accurate, and complete Response on behalf of the United States.

        Due to the fact that Defendant is in custody, undersigned counsel was unable to contact

  Defendant to determine whether he would agree to the requested extension.
Case 1:08-cr-20612-PAS Document 261            Entered on FLSD Docket 04/21/2010 Page 3 of 4



       WHEREFORE, the United States respectfully requests that this Court grant its Motion for a

  two-week extension of time, and order that its Response in the above-captioned case be due on May

  7, 2010.



                                                    Respectfully submitted,

                                                    JEFFREY H. SLOMAN
                                                    UNITED STATES ATTORNEY



                                              By:              /S/
                                                      Melissa Damian
                                                      Assistant United States Attorney
                                                      Florida Bar No. 0068063
                                                      99 Northeast 4th Street
                                                      Miami, Florida 33132-2111
                                                      Tel: (305) 961-9018
                                                      Fax: (305) 536-4675
Case 1:08-cr-20612-PAS Document 261           Entered on FLSD Docket 04/21/2010 Page 4 of 4



                                 CERTIFICATE OF SERVICE

         I HEREBY CERTIFY that on April 21, 2010, I electronically filed the foregoing document

  with the Clerk of the Court using CM/ECF. I also certify that the foregoing document is being

  served this day via U.S. Mail to Traian Bujduveanu, pro se, Reg # 80655-004,Federal Correctional

  Complex-Coleman, Low, P.O. Box 1031, Coleman, FL 33521.




                                                     Melissa Damian
                                                     Assistant United States Attorney

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Government’s motion for extension of time to file response to defendant’s motion for return of property

  • 1. Case 1:08-cr-20612-PAS Document 261 Entered on FLSD Docket 04/21/2010 Page 1 of 4 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA Case No. 08-20612-CR-SEITZ UNITED STATES OF AMERICA vs. TRAIAN BUJDUVEANU, Defendant. ________________________________/ GOVERNMENT’S MOTION FOR EXTENSION OF TIME TO FILE RESPONSE TO DEFENDANT’S MOTION FOR RETURN OF PROPERTY COMES NOW, the United States of America, by and through the undersigned Assistant United States Attorney, and respectfully moves this Court for an extension of time to file a Response to Defendant’s Motion for Return of Property, filed April 6, 2010 (DE:259), and states as follows: On April 6, 2010, Defendant Traian Bujduveanu filed a Motion for Return of Property. Although Defendant Bujduveanu raises numerous matters in said Motion, the relief sought therein is a request for the return of certain property seized from Defendant Bujduveanu’s residence during execution of a search warrant at the residence in June 2008. Specifically, Defendant appears to seek the return of the Defendant’s wife’s computers, cash found in his residence, a black leather briefcase, two laptop cases, and two computer memory sticks. The Government has worked diligently to locate each of the items noted in the Defendant’s Motion. The Government notes that there is a substantial amount of evidence in this case which is spread among multiple law enforcement agency storage facilities. To date, the majority of the items have been identified and
  • 2. Case 1:08-cr-20612-PAS Document 261 Entered on FLSD Docket 04/21/2010 Page 2 of 4 located. In light of recent law in this Circuit (see, e.g. U.S. v. Juan Carlos Palacios Gonzalez, Case No. 09-14538 (11th Cir. April 15, 2010)), the Government is required to submit affidavits in support of its response regarding the property at issue. At this time, the Government is working to obtain affidavits and supporting documentation from the appropriate law enforcement agents and evidence custodians regarding the property at issue. However, given that some of the property has only been identified or located as recently as this week, the Government has not yet had the opportunity to obtain all of the necessary documentation. Therefore, the Government is now seeking an extension of time in which to respond to Defendant’s Motion to give the Government sufficient time to complete the necessary collection and compilation of information, affidavits, and documentation. Undersigned counsel for the United States believes that we will have all of the necessary paperwork within approximately two weeks. This Court issued an Order, dated April 7, 2010, requiring a Response to Defendant’s Motion be filed by April 23, 2010 (DE:260). The United States is therefore seeking a two-week extension of time from April 23, 2010, to respond to the Defendant’s Motion for Return of Property. The requested extension of time is not for the purpose of delay, but rather to ensure a proper, accurate, and complete Response on behalf of the United States. Due to the fact that Defendant is in custody, undersigned counsel was unable to contact Defendant to determine whether he would agree to the requested extension.
  • 3. Case 1:08-cr-20612-PAS Document 261 Entered on FLSD Docket 04/21/2010 Page 3 of 4 WHEREFORE, the United States respectfully requests that this Court grant its Motion for a two-week extension of time, and order that its Response in the above-captioned case be due on May 7, 2010. Respectfully submitted, JEFFREY H. SLOMAN UNITED STATES ATTORNEY By: /S/ Melissa Damian Assistant United States Attorney Florida Bar No. 0068063 99 Northeast 4th Street Miami, Florida 33132-2111 Tel: (305) 961-9018 Fax: (305) 536-4675
  • 4. Case 1:08-cr-20612-PAS Document 261 Entered on FLSD Docket 04/21/2010 Page 4 of 4 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on April 21, 2010, I electronically filed the foregoing document with the Clerk of the Court using CM/ECF. I also certify that the foregoing document is being served this day via U.S. Mail to Traian Bujduveanu, pro se, Reg # 80655-004,Federal Correctional Complex-Coleman, Low, P.O. Box 1031, Coleman, FL 33521. Melissa Damian Assistant United States Attorney