U.S. v. VALLE, 05-CR-0196-WHA (2015)
Court: District Court, N.D. California
Number: infdco20150821985
Visitors: 21
Filed: Jul. 13, 2015
Latest Update: Jul. 13, 2015
Summary: STIPULATION AND ORDER WILLIAM ALSUP , District Judge . The United States, by and through Assistant United States Attorney W.S. Wilson Leung, and Defendant John Roberto Valle, by and through his counsel of record, Frank Z. Leidman, jointly submit this Stipulation and Proposed Order on behalf of the parties, to request that the supervised release revocation hearing in the above-captioned matter be continued from the afternoon calendar on Tuesday, July 14, 2015 to the afternoon calendar on Tue
Summary: STIPULATION AND ORDER WILLIAM ALSUP , District Judge . The United States, by and through Assistant United States Attorney W.S. Wilson Leung, and Defendant John Roberto Valle, by and through his counsel of record, Frank Z. Leidman, jointly submit this Stipulation and Proposed Order on behalf of the parties, to request that the supervised release revocation hearing in the above-captioned matter be continued from the afternoon calendar on Tuesday, July 14, 2015 to the afternoon calendar on Tues..
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STIPULATION AND ORDER
WILLIAM ALSUP, District Judge.
The United States, by and through Assistant United States Attorney W.S. Wilson Leung, and Defendant John Roberto Valle, by and through his counsel of record, Frank Z. Leidman, jointly submit this Stipulation and Proposed Order on behalf of the parties, to request that the supervised release revocation hearing in the above-captioned matter be continued from the afternoon calendar on Tuesday, July 14, 2015 to the afternoon calendar on Tuesday, August 11, 2015.
The parties hereby stipulate and agree to the following:
1. The defendant is charged with violating the terms of his supervised release and has an evidentiary hearing scheduled for July 14, 2015;
2. Defense counsel is continuing to seek certain tests and evaluations of defendant Valle that counsel has been advised by competent experts are relevant and necessary to the issues presented in the supervised release proceeding;
3. Accordingly, the defense seeks additional time prior to the evidentiary hearing in order to obtain these tests and evaluations. The parties respectfully request Tuesday, August 11, 2015 as the new date for the evidentiary hearing.
SO STIPULATED.
SO ORDERED.
Source: Leagle