Ganan Ramirez v. United States
Trial Court Opinion
UNITED STATES DISTRICT COURT □ SOUTHERN DISTRICT OF NEW YORK CARLOS ALBERTO GANAN RAMIREZ, .
Nae 20-CV-4009 (WHP) 5 16-CR-0782 (WHP) -against- ORDER DIRECTING ORIGINAL — - UNITED STATES OF AMERICA, SIGNATURE Respondent, WILLIAM H. PAULEY Il, United States District Judge: Movant brings this action pro se. Movant submitted the motion without a signature. Rule □□□ of the Federal Rules of Civil Procedure provides that “[e]very pleading, written motion, and other paper must be signed by at least one attorney of record in the attorney’s name — or by a party personally if the party is unrepresented.” See also Local Civil Rule 11.1(a). The Supreme Court has interpreted Rule |1{a) to require “as it did in John Hancock’s day, a name handwritten (or a mark handplaced),” Becker v. Montgomery, 332 U.S. 757, 764 (2001).
Movant is directed to resubmit the signature page of the motion with an original signature to the Court within thirty days of the date of this order. A copy of the signature page is attached to this order.
A copy of this order is to be mailed in chambers.
SO ORDERED.
Dated: June 11, 2020 New York, New York SO ORDERED: os ‘8 Span “a . WILLIAM H. PAULEY III oe USDA importantly to himself, that a person can change and correct his mistakes.
Due to the current humanitarian crisis we are facing, Mr. Ganan is worried that his health, age, accomplish the difficult task to be 6 feet apart from other inmates or employees inside prison, and the lack of precautions taken by the prison administration for sanitary purpose, puts Mr. Ganan on a high risk situation. There has been several COVID- diagnoses reported at Folkston’s federal correctional facilities, location where Mr. Ganan is, and it’s just matter of time that the virus spreads in his unit. COVID-19 is spreading quickly and the feeling of anguish that he might catch the virus is worst every day. As you remember, Mr. Ganan is a family man, his family loves him deeply, reason why they are very worry about his health and the possibility that when the virus enters his unit, his father/husband’s life would be compromised. (EXHIBIT 3) Petitioner humbly and respectfully prays this Honorable Court to consider all his claims and GRANT this motion, Respectfully submitted, -23- Wedaol 2.20 LAS RI POI ea eee CARY 2 a To CNW G OUAAAS Carlos Alberto Ganan 76162-054 D. Ray James C.F.
P.O. Box 2000 Folkston, GA 31537 CERTIFICATE OF SERVICE I, Carlos Alberto Ganan Ramirez, hereby certifies that this is a true and correct copy of the following: Memorandum in Law in support of a 28 U.S.C. § 2255 Motion to vacate, set aside or correct a sentence of a person in federal prison.
To: Clerk of the Court United States Courthouse Pearl Street, Room 120 New York, NY 10007-1312 And deposited at the United States Mail Service at D.
Ray James C.F. at Folkston, Georgia.
Dated this 7 day of May, 2020.
-24-
Case-law data current through December 31, 2025. Source: CourtListener bulk data.