Question not identified.
No question identified. : SHOOK HARDY & BACON in Rosemond v. Hudgins, No. 22 7188 (4th Cir.), which is due on September 20. An extension is necessary to allow me sufficient time to conduct research and September 1, 2023 draft the petition for writ of certiorari, in addition my other comments. We Page 2 contacted counsel for the United States, who informed us that he has no objection to the extension being granted. Sincerely, /s/ Michael Rayfield Michael Rayfield Attorney for Michal O’Bannon cc: See attached service list ATLANTA | BOSTON | CHICAGO | DENVER | HARTFORD | HOUSTON | KANSAS CITY | LONDON | LOS ANGELES | MIAMI | NEW YORK | ORANGE COUNTY | PHILADELPHIA | SAN FRANCISCO | SEATTLE | ST. LOUIS | TAMPA] WASHINGTON, D.C SHOOK HARDY & BACON PROOF OF SERVICE I, Michael Rayfield, hereby certify that three copies of this forgoing Motion for Extension of Time to File Petition for Writ of Certiorari in United September 1, 2023 States v. Michael O’Bannon were sent via third-party commercial carrier to Page 3 the U.S. Supreme Court and one copy was sent via third-party commercial carrier to the below service list. /s/ Michael Rayfield Michael Rayfield Attorney for Michal O’Bannon SERVICE LIST Brian Reitz Assistant United States Attorney Office of the United States Attorney 10 West Market Street, Suite 2100 Indianapolis, Indiana 46204-3048 ATLANTA | BOSTON | CHICAGO | DENVER | HARTFORD | HOUSTON | KANSAS CITY | LONDON | LOS ANGELES | MIAMI | NEW YORK | ORANGE COUNTY | PHILADELPHIA | SAN FRANCISCO | SEATTLE | ST. LOUIS | TAMPA] WASHINGTON, D.C