Government Prosecutors file an entension request to file a response to Lynch's Section 542 motion.
I am an Assistant United States Attorney in the Central District of California...Additional time is also needed because of the size and nature of defendant’s Motion. Defendant’s Motion consists of an oversized 27-page brief, presents multiple issues, and includes two volumes of exhibits.
Click the 'Request for Relief' button to read the request. Thank you for your support! Charles C. Lynch