Question not identified.
No question identified. : 752-PHX-DGC (D. Ariz.); (4) reviewed the record and prepared a draft of an opening brief in United States v. Robert Perry, No. 23-5025 (10th Cir.), before concluding that professional considerations required withdrawal as counsel; and (5) prepared and filed a petition for certiorari in Nawllah Tiger v. Oklahoma, No. 23-5119 (U.S.). Additionally, Mr. Flowers’s counsel is scheduled for international travel from October 5-16, 2023. Mr. Flowers’s counsel has begun a draft of the petition for certiorari. However, because of these other commitments, Mr. Flowers respectfully asks the Court to extend the time for filing a petition for certiorari to and including December 8, 2023. Respectfully submitted: September 28, 2023. JON M. SANDS FEDERAL PUBLIC DEFENDER KEITH J. HILZENDEGER Counsel of Record ASSISTANT FEDERAL PUBLIC DEFENDER 850 West Adams Street, Suite 201 Phoenix, Arizona 85007 (602) 382-2700 voice