Case 2:06-cr-20171-CM
Document 23
Filed 05/04/2007
Page 1 of 2
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF KANSAS UNITED STATES OF AMERICA, Plaintiff, vs.
No. 06-20171-01/02-CM
GUY NEIGHBORS, and CARRIE NEIGHBORS, Defendants.
MOTION FOR DISMISSAL The United States of America, by and through Eric F. Melgren, United States Attorney for the District of Kansas, and Terra D. Morehead, Assistant United States Attorney for said District, respectfully requests this Court for an order dismissing the Indictment without prejudice in the above captioned matter. In support thereof the Government states that it has recently developed significant additional evidence which will require further investigation and anticipates the filing of additional charges. Therefore, the Government requests dismissal without prejudice of the Indictment which was filed on December 7, 2006.
Case 2:06-cr-20171-CM
Document 23
Filed 05/04/2007
Page 2 of 2
WHEREFORE, the plaintiff prays that the requested relief be granted. Respectfully submitted, ERIC F. MELGREN United States Attorney
s/ Terra D. Morehead TERRA D. MOREHEAD, Ks.S.Ct. # 12759 Assistant United States Attorney 500 State Avenue, Suite 360 Kansas City, KS 66101 (913) 551-6730 FAX: (913) 551-6541
[email protected]
CERTIFICATE OF SERVICE I hereby certify that on the 5th day of May, 2007, the foregoing was electronically filed with the clerk of the court by using the CM/ECF system which will send a notice of electronic filing to the following: James George Attorney for Guy Neighbors R. Bruce Kips Attorney for Carrie Neighbors
s/ Terra D. Morehead TERRA D. MOREHEAD Assistant United States Attorney
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