Filed: Jun. 03, 2019
Latest Update: Jun. 03, 2019
Summary: STIPULATION AND ORDER TO CONTINUE STATUS CONFERENCE UNTIL AUGUST 22, 2019 AT 9:30 A.M. TROY L. NUNLEY , District Judge . STIPULATION IT IS HEREBY STIPULATED AND AGREED between Daisy Gonzalez, the defendant in this matter, by and through her defense counsel, Toni White, and the United States of America, by and through its counsel, Assistant U.S. Attorney Justin Lee, that the status conference presently set for June 6, 2019, should be continued to August 22, 2019, at 9:30 a.m. and that time
Summary: STIPULATION AND ORDER TO CONTINUE STATUS CONFERENCE UNTIL AUGUST 22, 2019 AT 9:30 A.M. TROY L. NUNLEY , District Judge . STIPULATION IT IS HEREBY STIPULATED AND AGREED between Daisy Gonzalez, the defendant in this matter, by and through her defense counsel, Toni White, and the United States of America, by and through its counsel, Assistant U.S. Attorney Justin Lee, that the status conference presently set for June 6, 2019, should be continued to August 22, 2019, at 9:30 a.m. and that time u..
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STIPULATION AND ORDER TO CONTINUE STATUS CONFERENCE UNTIL AUGUST 22, 2019 AT 9:30 A.M.
TROY L. NUNLEY, District Judge.
STIPULATION
IT IS HEREBY STIPULATED AND AGREED between Daisy Gonzalez, the defendant in this matter, by and through her defense counsel, Toni White, and the United States of America, by and through its counsel, Assistant U.S. Attorney Justin Lee, that the status conference presently set for June 6, 2019, should be continued to August 22, 2019, at 9:30 a.m. and that time under the Speedy Trial Act should be excluded from June 6, 2019 through August 22, 2019.
Discovery associated with this case includes over 14,000 pages and hours of audio discovery. Defense counsel needs additional time to continue to review discovery, communicate with the Government and her client, discuss possible resolution and prepare for trial. The continuance is necessary to ensure continuity of counsel and for defense preparation. Accordingly, the time between June 6, 2019 and August 22, 2019, should be excluded from the Speedy Trial calculation pursuant to Title 18, States Code, Section 3161(h)(7)(B)(iv) and Local Code T-4 for defense preparation. The parties stipulate that the ends of justice served by granting this continuance outweigh the best interests of the public and the defendant in a speedy trial. 18 U.S.C. §3161(h)(7)(A). AUSA Justin Lee has authorized defense counsel Toni White to sign this pleading for him.
Dated: June 3, 2019 U.S. ATTORNEY
by: /s/Justin Lee
JUSTIN LEE
Assistant U.S. Attorney
Attorney for the Goverment
Dated: June 3, 2019. /s/Toni White
TONI WHITE
Attorney for Defendant
Daisy Gonzalez
ORDER
IT IS SO FOUND AND ORDERED.