____________________________________
UNITED STATES OF AMERICA )
)
v. ) Criminal No.1:07-CR-189-2-GZS
)
JASON GERHARD )
____________________________________)
Now comes the defendant and respectfully requests that this Court extend the time for filing
objections to the Government Exhibit List until March 21, 2008.
As grounds therefore, counsel states that he needs additional time to prepare this filing.
Counsel has already met with the Government and notified them of the objections to be filed.
Respectfully Submitted,
Attorneys for the Defendant,
Dated: 3/19/08