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Oregon District Court
Case No. 3:15-cr-00438
USA v. Shrout
Document 62

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Case 3:15-cr-00438-JO

Document 62

Filed 09/30/16

Page 1 of 3

BILLY J. WILLIAMS, OSB #901366


United States Attorney
District of Oregon
STUART A. WEXLER
Trial Attorney, Tax Division
Stuart.A.Wexler@usdoj.gov
RYAN R. RAYBOULD
Trial Attorney, Tax Division
Ryan.R.Raybould@usdoj.gov
1000 SW Third Ave, Suite 600
Portland, OR 97204-2902
Telephone: (503) 727-1000
Attorneys for United States of America

UNITED STATES DISTRICT COURT


DISTRICT OF OREGON

UNITED STATES OF AMERICA


v.
WINSTON SHROUT,
Defendant.

3:15-cr-00438-JO
GOVERNMENTS MOTION TO SEAL
GOVERNMENTS UNOPPOSED
MOTION FOR RULE 15 DEPOSITION
AND JOINT MOTION FOR
CONTINUANCE OF JURY TRIAL
DATE

The United States of America, by Billy J. Williams, Acting United States Attorney for
the District of Oregon, and Ryan R. Raybould, Trial Attorney, Tax Division, hereby requests the
Court issue an order allowing the government to file under seal the Governments Unopposed
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Case 3:15-cr-00438-JO

Document 62

Filed 09/30/16

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Motion For Rule 15 Deposition and Joint Motion For Continuance of Jury Trial Date in the
above-captioned case.
This motion contains sensitive personal information.
Dated this 30th day of September, 2016.

Respectfully submitted,
BILLY J. WILLIAMS
United States Attorney

/s/ Ryan R. Raybould


RYAN R. RAYBOULD
STUART A. WEXLER
Trial Attorneys, Tax Division
(202) 305-3167

Governments Motion to Seal Governments Unopposed Motion For Rule 15


Deposition And Joint Motion For Continuance Of Jury Trial Date

Page 2

Case 3:15-cr-00438-JO

Document 62

Filed 09/30/16

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CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on September 30, 2016, I caused the foregoing to be filed with the
Clerk of the Court. Additionally, a copy of the foregoing was emailed to the defendant at
milieannjones@gmail.com and emailed to advisory counsel at Ruben_Iniguez@fd.org.

/s/ Ryan R. Raybould


Ryan R. Raybould
Trial Attorney, Tax Division

Governments Motion to Seal Governments Unopposed Motion For Rule 15


Deposition And Joint Motion For Continuance Of Jury Trial Date

Page 3

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