No. 25A588

Alexis D. Negrón-Cruz v. United States

Lower Court: First Circuit
Docketed: 2025-11-18
Status: Application
Type: A
Tags: constitutional-rights criminal-procedure federal-public-defender first-circuit statutory-interpretation writ-of-certiorari
Latest Conference: N/A
Question Presented (AI Summary)

Whether the First Circuit's interpretation of the underlying criminal statute improperly limits a defendant's constitutional rights or procedural protections

Question Presented (OCR Extract)

No question identified. : Petitioner Alexis D. Negrén-Cruz respectfully requests a sixty-day extension of time to file a petition for writ of certiorari from the United States Court of Appeals for the First Circuit’s opinion in United States v. Negrén-Cruz, 153 F.4th 90 (1st Cir. 2025). The undersigned has been working diligently to research and prepare a certiorari petition, but preparation is still underway. Given the nature of the issues on appeal, and counsel’s other responsibilities, undersigned counsel submits good cause supports extending the deadline for filing a petition for writ of certiorari by sixty (60) days. November 14, 2025 Respectfully submitted, Rachel Brill Federal Public Defender /s/ Kevin E. Lerman Kevin E. Lerman Counsel of Record Assistant Federal Public Defender

Docket Entries

2025-11-18
Application (25A588) granted by Justice Jackson extending the time to file until January 25, 2026.
2025-11-14
Application (25A588) to extend the time to file a petition for a writ of certiorari from November 26, 2025 to January 25, 2026, submitted to Justice Jackson.

Attorneys

Alexis Negrón-Cruz
Kevin Edward LermanFederal Public Defender, District of Puerto Rico, Petitioner
United States
D. John SauerSolicitor General, Respondent