Well, at least he has the case now. I'll call soon. Christian P. Hur Captain, USMC Senior Defense Counsel Telephone: (619) 524-8713 Fax: (619) 524-6784 Address: Defense Section, Bldg 12, 1st Floor, MCRD, San Diego, CA 92140 This email may contain Attorney Work Product. Please delete if you received this message in error. -----Original Message----- From: Haytham [mailto:haytham@puckettfaraj.com] Sent: Tuesday, February 01, 2011 17:57 To: Hur Capt Christian P Subject: Re: U.S. v. Wacker request for an 802 conference Chris, I cited Weisbeck in my motion. Haytham Faraj Sent from my iPhone On Feb 1, 2011, at 8:43 PM, "Hur Capt Christian P" <christian.hur@usmc.mil> wrote: > Sir (LtCol Jones), > > I just got out of the training. There is a pertinent CAAF case on point regarding continuances that I would ask that the court please consider in ruling on this motion. I have attached the opinion. Thank you. > > Christian P. Hur > Captain, USMC > Senior Defense Counsel > Telephone: (619) 524-8713 > Fax: (619) 524-6784 > Address: Defense Section, Bldg 12, 1st Floor, MCRD, San Diego, CA 92140 > > This email may contain Attorney Work Product. Please delete if you received > this message in error. > > > > -----Original Message----- > From: Day Capt Evan S > Sent: Tuesday, February 01, 2011 13:17 > To: Jones LtCol David M; 'haytham@puckettfaraj.com' > Cc: Hur Capt Christian P; Sullivan LtCol Sean > Subject: RE: U.S. v. Wacker request for an 802 conference > > Good Afternoon Sir, > > Please find attached the government's response to the subject motion, with enclosures. I'm not sure if we are still litigating the DNA expert request as a basis for the continuance, in light of the fact that an expert has been approved, but I addressed it in the motion anyway. > > Very Respectfully, > Captain Evan S. Day > Judge Advocate > Joint Law Center > 3D MAW/MCAS Miramar > P.O. Box 452013 > San Diego, CA 92145-2013 > Comm: (858) 577-1862 > DSN: 267-1862 > evan.s.day@usmc.mil > > Classification: UNCLASSIFIED//LIMDIS > This e-mail is FOR OFFICIAL USE ONLY and is exempt from mandatory disclosure under FOIA. DoD 5400.7R, "DoD Freedom of Information Act Program", DoD Directive 5230.9, "Clearance of DoD Information for Public Release", and DoD Instruction 5230.29, and "Security and Policy Review of DoD Information for Public Release". > ATTORNEY-CLIENT PRIVILEGED COMMUNICATION OR ATTORNEY WORK PRODUCT. The information contained in this message is privileged. It is intended only to be read by the individual or entity addressed or their designee. If the reader of this message is not the intended recipient, you are on notice that any distribution of this message, in any form, is prohibited. If you have received this message in error, please immediately notify the sender and delete or destroy any copy of this message. > > > > > -----Original Message----- > From: Jones LtCol David M > Sent: Monday, January 31, 2011 19:08 > To: 'haytham@puckettfaraj.com' > Cc: Day Capt Evan S; Hur Capt Christian P > Subject: Re: U.S. v. Wacker request for an 802 conference > > Capt Day, > > Your comments please on the Continuance motion. Also, I would like to do a Conference call as proposed. Please set this up and let me know how and when to call. I am in Alabama, so the evening time proposed will work for me. > > I am very surprised to hear that the DNA expert has not been solved. Why am I just hearing about this a couple of weeks before trial? > > R, > > LtCol Jones > > R, > > LtCol Jones > David M. Jones > Military Judge > Western Pacific Judicial Circuit > Navy-Marine Corps Trial Judiciary > > ________________________________ > > From: Haytham Faraj <haytham@puckettfaraj.com> > To: Jones LtCol David M > Cc: Day Capt Evan S; Hur Capt Christian P > Sent: Tue Feb 01 02:57:11 2011 > Subject: U.S. v. Wacker request for an 802 conference > > > > Your honor, > > The defense respectfully requests an 802 on Wednesday February 2, at 2030 E.S.T. Please let me know if you are available and how you would like to initiate the call. The matters to be discussed are witness production for the UCI motion and some remaining discovery issues. > > > > Vr, > > > > Haytham Faraj, Esq. > > PUCKETT & FARAJ, PC > > _______________________ > > WASHINGTON DC METRO > > The Law Firm of Puckett & Faraj, PC > > 1800 Diagonal Road > > Suite 210 > > Alexandria, VA 22314 > > 703-706-0442 Phone > > 202-280-1039 Fax > > > > DETROIT METRO > > The Law Firm of Puckett & Faraj, PC > > P.O. Box 1016 > > Dearborn Heights, MI 48127 > > 313-457-1390 Phone > > 202-280-1039 Fax > > > > > > www.puckettfaraj.com <http://www.puckettfaraj.com/> > > > > The information contained in this electronic message is confidential, and is intended for the use of the individual or entity named above. If you are not the intended recipient of this message, you are hereby notified that any use, distribution, copying of disclosure of this communication is strictly prohibited. If you received this communication in error, please notify Puckett & Faraj, P.C. at 888-970-0005 or via a return the e-mail to sender. You are required to purge this E-mail immediately without reading or making any copy or distribution. > > > > <US v. Weisbeck.pdf>
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