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Document #: 13
Filed: 08/30/2016
Page 1 of 4
Case: 25CI1:16-cr-00176-JAW
Document #: 13
Filed: 08/30/2016
Page 2 of 4
Case: 25CI1:16-cr-00176-JAW
Document #: 13
Filed: 08/30/2016
Page 3 of 4
Case: 25CI1:16-cr-00176-JAW
Document #: 13
Filed: 08/30/2016
Page 4 of 4
Case: 25CI1:16-cr-00176-JAW
Document #: 11
Filed: 08/17/2016
Page 1 of 3
ANDRE KENNEDY
DEFENDANT
Case: 25CI1:16-cr-00176-JAW
Document #: 11
Filed: 08/17/2016
Page 2 of 3
5. This continuance will not affect any case assigned to Attorney Eric Brown, the other
Assistant Hinds County Public Defender assigned to this court, or any other attorney
assigned a case on this trial week. In fact, Mr. Routh has another case set for trial as a
priority setting on October 10th. Mr. Routh expects no delay in that trial as he is already
aware of its setting and is preparing accordingly;
6. The State has represented that they do not oppose this continuance and have signed and
submitted and agreed order to that effect;
7. As Mr. Kennedy has a right under the United States and Mississippi Constitutions to
counsel, Gideon v. Wainwright, 372 U.S. 335 (1963) and as Mr. Kennedys counsel will be
unavailable on his currently scheduled trial date, the Defense respectfully requests that
this court continue Mr. Kennedys trial date to the next available term.
WHEREFORE PREMISES CONSIDERED, Andre Kennedy respectfully moves that
this court grant the herein requested relief and continue this cause to the next available trial term.
Respectfully Submitted, this the 17th day of August, 2016.
ANDRE KENNEDY
/s/ Christopher S. Routh
BY: ____________________________________
Christopher S. Routh (Miss. Bar No. 104579)
Assistant Public Defender
Office of the Hinds County Public Defender
499 S. President Street
P.O. Box 23029
Jackson, Mississippi 39225
(601) 948-2683 Telephone
(601) 948- 2687 Fax
crouth@co.hinds.ms.us
Case: 25CI1:16-cr-00176-JAW
Document #: 11
Filed: 08/17/2016
Page 3 of 3
CERTIFICATE OF SERVICE
I, CHRISTOPHER ROUTH, attorney for the Defendant, do hereby certify that I have this
day electronically or hand delivered a true and correct copy of the foregoing Motion for Continuance to
Brad McCulloch, Assistant District Attorney at his usual and customary place of business, namely
the Office of the Hinds County District Attorney.
SO CERTIFIED this the 17th day of August, 2016.
Case: 25CI1:16-cr-00176-JAW
Document #: 1
Filed: 02/26/2016
Page 1 of 1