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RE: MJ for U.S. v. Natividad



Sir,

The Government has no motions to file either.  Per the CMO, on 8 April we are scheduled to have a 39(a) session to resolve Pre-Trial motions, since there are none, should it be canceled or would you still like to meet in order to discuss other matters?  I am available today, tomorrow and Friday for an 802 conference, if you would like, to discuss how to proceed. 

Thank you and have a nice day.  

V/r,
LT Ray

---------------------------------
Katherine S. Ray
LT, JAGC, USN
Region Legal Service Office, Midwest
Comm: 847.688.3805
Fax: 847.688.2481
DSN: 792.2480


**FOR OFFICIAL USE ONLY-PRIVACY SENSITIVE**  This email, including any attachments, may contain information that requires protection from unauthorized disclosure.  Do not disseminate this email, or its contents, to anyone who does not have an official need for access.  Any misuse or unauthorized disclosure can result in both civil and criminal penalties.


  

-----Original Message-----
From: Griffo, Joseph T LT NLSO MILL 
Sent: Monday, March 29, 2010 17:45
To: 'Thomas Fichter'
Cc: 'Faraj Haytham'; Pennix, Elisabeth H LT RLSO MW; Whaley, Amanda G LN1 NETC; Ray, Katherine S LT RLSO MW, GREAT LAKES
Subject: RE: MJ for U.S. v. Natividad

 Sir,

Per the CMO, the Defense must file motions with the Court today.  The Defense has no motions it wishes to file.    

Very Respectfully,

Joseph T. Griffo
LT, JAGC, USN
Naval Legal Service Office North Central Branch Office Memphis
5722 Integrity Dr
Millington, TN 38054
Phone - Commercial - (901)874-7379
Fax   - Commercial - (901)874-5078


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Phone - Commercial - (901)874-7379
Fax   - Commercial - (901)874-5078 
-----Original Message-----
From: Ray, Katherine S LT RLSO MW, GREAT LAKES
Sent: Tuesday, March 23, 2010 14:09
To: 'Thomas Fichter'
Cc: Griffo, Joseph T LT NLSO MILL; 'Faraj Haytham'; Pennix, Elisabeth H LT RLSO MW; Whaley, Amanda G LN1 NETC
Subject: RE: MJ for U.S. v. Natividad

Sir,

I am LT Ray, the trial counsel in U.S. v. Natividad.  Mr. Faraj and LT Griffo are the defense counsel.  Please see the attached case management order, the dates have previously been agreed upon by the government and defense.  LN1 Whaley, from my office, will be in touch with you regarding BOQ reservations for the week of 26 April.    

Please do not hesitate to contact me with any questions or concerns.  

V/r,
LT Ray

---------------------------------
Katherine S. Ray
LT, JAGC, USN
Region Legal Service Office, Midwest
Comm: 847.688.3805
Fax: 847.688.2481
DSN: 792.2480


**FOR OFFICIAL USE ONLY-PRIVACY SENSITIVE**  This email, including any attachments, may contain information that requires protection from unauthorized disclosure.  Do not disseminate this email, or its contents, to anyone who does not have an official need for access.  Any misuse or unauthorized disclosure can result in both civil and criminal penalties.


     

-----Original Message-----
From: Modzelewski, Moira D CAPT NAVMARTRIJUD, CENTRAL JUDICIAL CIRCUIT
Sent: Tuesday, March 23, 2010 13:43
To: Ray, Katherine S LT RLSO MW, GREAT LAKES; Griffo, Joseph T LT NLSO MILL; 'Faraj Haytham'
Cc: Thomas Fichter
Subject: MJ for U.S. v. Natividad

Counsel:  CDR Fichter has been detailed as the MJ for subject case, docketed for trial beginning on 26 APR 2010.

TC:  I've forwarded the charge sheet and convening order to CDR Fichter.  If there are any other filings, please ensure that he has received them.  Additionally, please have someone from your office pass to him the info for BOQ reservations.  If he wants a telephonic 802, please arrange.

r/
Moira Modzelewski
CAPT, JAGC, USN
Circuit Judge
Navy-Marine Corps Trial Judiciary Central Circuit Norfolk, VA
757-444-3733
DSN 564-3733 

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