Professional Documents
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STATE OF GEORGIA
STATE OF GEORGIA, )
)
)
v. ) Criminal Action No. CR2000433
)
WILLIAM RODERICK BRYAN, )
Defendant. )
counsel, and les this his formal Request for Hearing With respect to the Second Motion for
Bond and Motion for Reconsideration led on October 27, 2020. More than sixty days have
now elapsed Without the Court even scheduling a hearing with respect to said motion. Defendant
requested a hearing informally by email some time ago but undersigned counsel has never
Defendant Roddie Bryan continues to suffer from uncontrolled high blood pressure
since his arrest and detention, despite the efforts of the Glynn County Detention Center to render
treatment. He has already seen a cardiologist, and is medicated, but the sporadic checks of his
blood pressure regularly reect blood pressure in excess of 180/100. As recently as December
30, 2020, Mr. Bryan’s blood pressure was 190/ 100. Without his humanitarian release under such
conditions as the court deems appropriate, Mr. Bryan’s blood pressure will remain out of control.
Assuming he survives long enough to have a trial, Mr. Bryan’s ability to attend, follow
along and participate meaningfully in his own trial would be greatly impaired if this issue
is not addressed.
WHEREFORE, Defendant requests that the above-referenced motion be set down for
Kevin Gough
/s/
Kevin Gough
ATTORNEY FOR DEFENDANT
Georgia Bar No. 3032 1 0
CERTIFICATE OF SERVICE
COMES NOW Kevin Gough, attorney for the defendant, and hereby certiesthat a copy
of the foregoing document(s) have been served upon the District Attorney by email delivery this
date.