Filed: Oct. 16, 2018
Latest Update: Oct. 16, 2018
Summary: STIPULATION AND ORDER CONTINUING THE STATUS CONFERENCE TO JANUARY 24, 2019 AT 10:00 A.M. MORRISON C. ENGLAND, JR. , District Judge . STIPULATION IT IS HEREBY STIPULATED AND AGREED between the defendants: 1. Elias Hernandez-Valencia 2. Filiberto Madrigal 3. Luis Armando Rios Garcia 4. Georgina Carrillo Ayala 5. Jose Francisco Buenavida 6. Jose Antonio Pantoja Estrada 7. Kelly Duane Hughes 8. Jerry Curtis Foster 9. Bart Richard Hughes 10. Jose Manuel Rodriguez 11. Roberto Mercado-
Summary: STIPULATION AND ORDER CONTINUING THE STATUS CONFERENCE TO JANUARY 24, 2019 AT 10:00 A.M. MORRISON C. ENGLAND, JR. , District Judge . STIPULATION IT IS HEREBY STIPULATED AND AGREED between the defendants: 1. Elias Hernandez-Valencia 2. Filiberto Madrigal 3. Luis Armando Rios Garcia 4. Georgina Carrillo Ayala 5. Jose Francisco Buenavida 6. Jose Antonio Pantoja Estrada 7. Kelly Duane Hughes 8. Jerry Curtis Foster 9. Bart Richard Hughes 10. Jose Manuel Rodriguez 11. Roberto Mercado-R..
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STIPULATION AND ORDER CONTINUING THE STATUS CONFERENCE TO JANUARY 24, 2019 AT 10:00 A.M.
MORRISON C. ENGLAND, JR., District Judge.
STIPULATION
IT IS HEREBY STIPULATED AND AGREED between the defendants:
1. Elias Hernandez-Valencia
2. Filiberto Madrigal
3. Luis Armando Rios Garcia
4. Georgina Carrillo Ayala
5. Jose Francisco Buenavida
6. Jose Antonio Pantoja Estrada
7. Kelly Duane Hughes
8. Jerry Curtis Foster
9. Bart Richard Hughes
10. Jose Manuel Rodriguez
11. Roberto Mercado-Rangel
by and through their undersigned defense counsel, and the United States of America, by and through its counsel, Assistant U.S. Attorney James Conolly, that the status conference presently set for October 18, 2018, should be continued to January 24, 2019, at 10:00 a.m. and that time under the Speedy Trial Act should be excluded from October 18, 2018 through January 24, 2019.
The reason for the continuance is that the parties received 415 pages of numbered discovery and 6 DVDs containing other materials. The defense needs additional time to prepare for trial. The continuance is necessary to ensure continuity of counsel. Accordingly, the time between October 18, 2018, and January 24, 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 defendants in a speedy trial. 18 U.S.C. §3161(h)(7)(A). Defense counsel for the defendants and AUSA James Conolly have authorized Mr. Fischer to sign this pleading for them.
ORDER
IT IS SO ORDERED.