The United States Attorney for the Southern District of Texas has filed a motion to dismiss without prejudice the indictment against Alberto Sanchez-Ramos for illegal re-entry after deportation. The motion states that dismissal is in the interest of justice. Counsel for the defendant has not yet been determined. The motion requests that the court grant the dismissal of the indictment.
The United States Attorney for the Southern District of Texas has filed a motion to dismiss without prejudice the indictment against Alberto Sanchez-Ramos for illegal re-entry after deportation. The motion states that dismissal is in the interest of justice. Counsel for the defendant has not yet been determined. The motion requests that the court grant the dismissal of the indictment.
The United States Attorney for the Southern District of Texas has filed a motion to dismiss without prejudice the indictment against Alberto Sanchez-Ramos for illegal re-entry after deportation. The motion states that dismissal is in the interest of justice. Counsel for the defendant has not yet been determined. The motion requests that the court grant the dismissal of the indictment.
UNITED STATES OF AMERICA ' ' VS. ' ' CRIMINAL NO. 14-CR-381 ALBERTO SANCHEZ-RAMOS ' ' Defendant. '
GOVERNMENTS MOTION TO DISMISS INDICTMENT
COMES NOW, the United States Attorney for the Southern District of Texas, KENNETH MAGIDSON, through Assistant United States Attorney Elizabeth Karpati, moving the Court to dismiss without prejudice the Indictment in the above-captioned matter for the following reasons: 1. On August 20, 2014, Defendant was indicted by the Grand J ury for the offense of Illegal Re-Entry After Deportation pursuant to 8 U.S.C. 1326(a) and (b)(1). 2. In the interest of justice, the United States now moves to dismiss the Indictment in this case without prejudice. 3. Counsel for the defendant has not been determined. WHEREFORE, the United States respectfully requests the Court to grant this motion.
Case 4:14-cr-00381 Document 4 Filed in TXSD on 08/25/14 Page 1 of 2 Respectfully submitted,
KENNETH MAGIDSON United States Attorney
By: s/ Elizabeth Karpati ELIZABETH KARPATI Assistant United States Attorney Attorney in Charge Texas Bar Number: 00794069 SD: 20567 1000 Louisiana Street, Suite 2300 Houston Texas 77002
CERTIFICATE OF SERVICE
I hereby certify that on August 25, 2014, I electronically filed the foregoing with the Clerk of Court by using the CM/ECF system which will send a notice of electronic filing to all counsel of record.
s/ Elizabeth F. Karpati ELIZABETH F. KARPATI
Case 4:14-cr-00381 Document 4 Filed in TXSD on 08/25/14 Page 2 of 2
IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF TEXAS HOUSTON DIVISION
UNITED STATES OF AMERICA ' ' VS. ' CRIMINAL NO. 14-CR-381 ' ALBERTO SANCHEZ-RAMOS ' ' Defendant. '
ORDER
The United States Motion to Dismiss Indictment against defendant, ALBERTO SANCHEZ-RAMOS is hereby GRANTED without prejudice.
Signed on this day of , 2014.
____________________________________ THE HONORABLE LYNNE N. HUGHES UNITED STATES DISTRICT J UDGE
Case 4:14-cr-00381 Document 4-1 Filed in TXSD on 08/25/14 Page 1 of 1
Opinion of the Supreme Court of the United States, at January Term, 1832, Delivered by Mr. Chief Justice Marshall in the Case of Samuel A. Worcester, Plaintiff in Error, versus the State of Georgia
With a Statement of the Case, Extracted from the Records of the Supreme Court of the United States
Report of the Decision of the Supreme Court of the United States, and the Opinions of the Judges Thereof, in the Case of Dred Scott versus John F.A. Sandford
December Term, 1856.
Flora Nicholas Paul Gayter, in Their Own Right and as Next Friend of S.G., and Brainwave, Incorporated, Party in Interest-Appellee v. Wyndham International, Incorporated Wyndham Management Corporation Sugar Bay Club and Resort Corporation Rick Blythe, and Bryan Hornby, 373 F.3d 537, 4th Cir. (2004)