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UNOPPOSED MOTION FOR MEDICAL TREATMENT

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Jeff Bush, Department of Justice, ICE Agent Sammy Cruzcoriano, Jeffrey H. Sloman, Acting United States Attorney for the Southern District of Florida, David Kris, Assistant Attorney General for National Security, Michael Johnson, Special Agent in Charge, U.S. Department of Commerce, Office of Export Enforcement, Anthony V. Mangione, Special Agent in Charge, U.S. Immigration and Customs Enforcement, Office of Investigations, and Amie R. Tanchak, Resident Agent in Charge, U.S. Department of Defense, Government Conspiracy,Defense Criminal Investigative Service, R. Alexander Acosta, United States Attorney for the Southern District of Florida, Michael Johnson, Special Agent in Charge, U.S. Department of Commerce, Office of Export Enforcement, Anthony V. Mangione, Special Agent in Charge, U.S. Immigration and Customs Enforcement, Office of Investigations, and Christopher Amato, Special Agent in Charge of the Pentagon's Defense Criminal Investigative Service, Southeast Field Office, Revolution in Romania,R. Alexander Acosta, U.S. Attorney for the Southern District of Florida; David Kris, Assistant Attorney General for National Security; Michael Johnson, Special Agentin Charge, U.S. Department of Commerce, Office of Export Enforcement; Anthony V. Mangione, Special Agent in Charge, U.S. Immigration and Customs Enforcement, Office of Investigations; and Amie R. Tanchak, Resident Agent in Charge, U.S. Department of Defense, Defense Criminal Investigative Service, Judge Patrick A. White, Judge Patricia A. Seitz, Judge John M. O’Sullivan, Attorney Mark Eiglarsh, Attorney Michael Cohen,C.I.A.,Defende Intelligence Agency,National Intelligence Agency,Department of State,Department of Navy,Interpol,F.B.I., National Security Agency, FBI Special Agent in Charge, Michael Johnson,Traian Bujduveanu,Revolution in Iran,Attorney Robert G. Amsel

Case 1:08-cr-20612-PAS Document 126 Entered on FLSD Docket 12/03/2008 Page 1 of 2







UNITED STATES DISTRICT COURT

SOUTHERN DISTRICT OF FLORIDA



Case No: 08-20612-CR-SEITZ/O’SULLIVAN









UNITED STATES OF AMERICA )

)

Plaintiff, )

vs. )

)

TRAIAN BUJDUVEANU )

)

Defendant. )

____________________________ )



UNOPPOSED MOTION FOR MEDICAL TREATMENT



COMES NOW, the defendant, TRAIAN BUJDUVEANU, by and through



undersigned counsel respectfully requests this Honorable Court convene a hearing and



conduct an inquiry about the necessity of the defendant’s receipt of certain medications



that he is not presently receiving at the Federal Detention Center in Miami. As grounds



therefore, your undersigned would state the following:



1. Traian Bujduveanu suffers from Hepatitis C, sclerosis of the liver, diabetes



and ascytes.



2. Mr. Bujduveanu is in urgent need of certain medications to treat these



conditions which can become life threatening.



3. These medications include pegasys, interferon, and ribovirin.



4. Undersigned Counsel has been informed by Mr. Bujduveanu that he is not



receiving these medications at the Federal Detention Center.

Case 1:08-cr-20612-PAS Document 126 Entered on FLSD Docket 12/03/2008 Page 2 of 2







5. Your Undersigned therefore, respectfully moves for this court to convene



a hearing to inquire into the failure of the Federal Detention Center to properly treat Mr.



Bujduveanu for his conditions.



6. Your Undersigned has spoken to Assistant United States Attorney, Melissa



Damian, who has no objection to this motion.



WHEREFORE, based on the foregoing, Undersigned Counsel requests leave of



court to file this motion out of time since he was recently retained by the defendant.









Respectfully submitted,



s/ *Michael B. Cohen, Esq.*

_________________________

Michael B. Cohen, Esq.

Florida Bar No: 210196







CERTIFICATE OF SERVICE



IT IS HEREBY CERTIFIED that a true and correct copy of the foregoing was

furnished via CMECF this December _____, 2008 to all applicable parties.







Respectfully submitted,



s/ *Michael B. Cohen, Esq.*

_________________________

Michael B. Cohen, Esq.

Florida Bar No: 210196

6400 North Andrews Ave Ste 460

Fort Lauderdale, Florida 33309

Ph (954) 928-0059

Fax(954)928-0829


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