No. 23A752

Michael Andrew Taylor v. United States

Lower Court: Eighth Circuit
Docketed: 2024-02-15
Status: Presumed Complete
Type: A
Experienced Counsel
Tags: certiorari eighth-circuit extension jurisdiction petition supreme-court-rule
Latest Conference: N/A
Question Presented (AI Summary)

Whether the Eighth Circuit Court of Appeals erred in affirming the petitioner's conviction and sentence

Question Presented (OCR Extract)

No question identified. : Comes Now petitioner Michael Andrew Taylor, through his attorney of record, Assistant Federal Public Defender Heather Quick, who, pursuant to Supreme Court Rule 13.5, requests an additional thirty days in which to file a petition in this Court seeking certiorari to the Eighth Circuit Court of Appeals, up through Wednesday, April 3, 2024. In support, counsel submits as follows: JUDGMENT FOR WHICH REVIEW IS SOUGHT Petitioner seeks an extension to file a petition for writ of certiorari. Petitioner is requesting review of the judgment issued by the Eighth Circuit Court of Appeals on December 5, 2023, affirming the petitioner’s conviction and sentence. JURISDICTION This Court will have jurisdiction over the timely filed petition pursuant to 28 U.S.C. § 1254(1). Under Supreme Court Rules 13.1, 13.3, and 30.1, the current deadline for the filing of a petition for writ of certiorari is Monday, March 4, 2024. Petitioner files this request for additional time at least 10 days before the date the petition is currently due, in compliance with Supreme Court Rule 13.5. REASONS FOR APPLICATION FOR EXTENSION Defense counsel has a variety of other obligations before the federal judiciary. For example, in the last four weeks counsel of record has submitted an appellant’s brief to the Eighth Circuit Court of Appeals. Counsel of record has also submitted a petition for writ of certiorari to this Court in that time. Further, in the next three weeks, counsel of record has fourteen initial briefs due to the Eighth Circuit Court of 1 Appeals. The undersigned also has a petition for a writ of certiorari due in another matter to this Court. Lastly, the undersigned is scheduled to be out of the country from February 23, 2024, through March 4, 2024. These obligations will make it difficult for counsel to finalize and file a satisfactory petition by the current deadline, despite counsel’s diligent efforts to do so. CONCLUSION For the foregoing reasons, the petitioner respectfully requests that this Court grant a 30-day extension, to and including April 3, 2024, in which to file a petition for a writ of certiorari. RESPECTFULLY SUBMITTED, /s/ Heather Quick Heather Quick Appellate Chief First Assistant Federal Public Defender 222 Third Avenue SE, Suite 290 Cedar Rapids, IA 52401 TELEPHONE: 319-363-9540 FAX: 319-363-9542 ATTORNEY FOR PETITIONER

Docket Entries

2024-03-22
Application (23A752) granted by Justice Kavanaugh extending the time to file until May 3, 2024.
2024-03-19
Application (23A752) to extend further the time from April 3, 2024 to May 3, 2024, submitted to Justice Kavanaugh.
2024-02-15
Application (23A752) granted by Justice Kavanaugh extending the time to file until April 3, 2024.
2024-02-13
Application (23A752) to extend the time to file a petition for a writ of certiorari from March 4, 2024 to April 3, 2024, submitted to Justice Kavanaugh.

Attorneys

Michael Andrew Taylor
Heather Rae QuickFederal Public Defender Office - Iowa, Petitioner
Heather Rae QuickFederal Public Defender Office - Iowa, Petitioner
United States
Elizabeth B. PrelogarSolicitor General, Respondent
Elizabeth B. PrelogarSolicitor General, Respondent