Whether the Eighth Circuit violated the Confrontation Clause of the Sixth Amendment and denied Mr. Crowe his constitutional right to a fair trial in his convictions for carjacking resulting in serious bodily injury, discharge of a firearm during and in relation to a crime of violence, and possession of a firearm by a prohibited person
by this case have precluded counsel from being able to direct adequate time and attention to the preparation of a petition for writ of certiorari on Petitioner’s behalf. Therefore, in light of counsel’s current obligations and the importance of the constitutional issues that will be presented in this case, counsel submit that a thirtyfour (384) day extension is necessary and appropriate in order to effectively prepare the petition for certiorari on Mr. Crowe’s behalf. Wherefore, in the interest of justice and for good cause shown, counsel for Mr. Crowe respectfully requests this Court extend the current July 20, 2023 deadline until August 23, 2023. Respectfully submitted, /s/ Eric T. Davis Eric T. Davis 1209 Junction Ave. Sturgis, SD 57785 (605) 561-6283 Bar#: 315801 Counsel for Petitioner