Filed: Oct. 17, 2014
Latest Update: Oct. 17, 2014
Summary: AMENDED STIPULATION TO CONTINUE DEFENDANTS' MOTION TO SUPPRESS PEGGY A. LEEN, Magistrate Judge. STIPULATION IT IS HEREBY STIPULATED and AGREED by and between Kimberly M. Frayn, Assistant United States Attorney, David Z. Chesnoff, Esq., attorney for Wei Seng Phua, Richard A. Schonfeld, Esq., attorney for Darren Wai Kit Phua, Michael Pancer, Esq., attorney for Defendant Seng Chen Yong and Wai Kin Yong, Andrew M. Lankler, Esq., attorney for Defendant Hui Tang, Thomas F. Pitaro, Esq., attorney
Summary: AMENDED STIPULATION TO CONTINUE DEFENDANTS' MOTION TO SUPPRESS PEGGY A. LEEN, Magistrate Judge. STIPULATION IT IS HEREBY STIPULATED and AGREED by and between Kimberly M. Frayn, Assistant United States Attorney, David Z. Chesnoff, Esq., attorney for Wei Seng Phua, Richard A. Schonfeld, Esq., attorney for Darren Wai Kit Phua, Michael Pancer, Esq., attorney for Defendant Seng Chen Yong and Wai Kin Yong, Andrew M. Lankler, Esq., attorney for Defendant Hui Tang, Thomas F. Pitaro, Esq., attorney f..
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AMENDED STIPULATION TO CONTINUE DEFENDANTS' MOTION TO SUPPRESS
PEGGY A. LEEN, Magistrate Judge.
STIPULATION
IT IS HEREBY STIPULATED and AGREED by and between Kimberly M. Frayn, Assistant United States Attorney, David Z. Chesnoff, Esq., attorney for Wei Seng Phua, Richard A. Schonfeld, Esq., attorney for Darren Wai Kit Phua, Michael Pancer, Esq., attorney for Defendant Seng Chen Yong and Wai Kin Yong, Andrew M. Lankler, Esq., attorney for Defendant Hui Tang, Thomas F. Pitaro, Esq., attorney for Defendant Yan Zhang, Chris T. Rasmussen, Esq., attorney for Defendant Yung Keung Fan, John V. Spilotro, Esq., attorney for Defendant Herman Chun Sang Yeung, that the previously ordered deadline for filing of Defendants' Motions to Suppress be vacated and that the parties shall have to and including October 27, 2014, within which to file the Defendants' Suppression motions currently due October 17, 2014 (a Stipulation was previously filed, Docket 216, requesting October 21, 2014 as a deadline, that Stipulation would be withdrawn as a result of this Stipulation).
All other deadlines shall remain the same.
This Stipulation is entered into for the following reasons:
1. Assistant United States Attorney Kimberly Frayn is starting a trial that is anticipated to last the week of October 20, 2014. The government has been provided drafts of the Motions to Suppress by the Defendants and has requested additional time before the Defendants file said Motions, in order to provide the United States Attorney's office additional time to analyze the issues raised therein;
2. The Government and the Defendants have no objection to the continuance;
3. All deadlines for responses and replies will remain as previously Ordered and the hearing date will also remain as previously scheduled.
STIPULATION TO CONTINUE PRETRIAL MOTION DEADLINES AND TRIAL DATE AND PROPOSED ORDER.
FINDINGS OF FACT, CONCLUSION OF LAW AND ORDER
Based upon the pending Stipulation of counsel, and good cause appearing therefore, the
Court finds that:
1. Assistant United States Attorney Kimberly Frayn is starting a trial that is anticipated to last the week of October 20, 2014. The government has been provided drafts of the Motions to Suppress by the Defendants and has requested additional time before the Defendants file said Motions, in order to provide the United States Attorney's office additional time to analyze the issues raised therein;
2. The Government and the Defendants have no objection to the continuance;
3. All deadlines for responses and replies will remain as previously Ordered and the hearing date will also remain as previously scheduled.
ORDER
IT IS HEREBY ORDERED that the parties herein shall be have to and including October 27, 2014, to file any and all Motions to Suppress.
IT IS FURTHER ORDERED that all other deadlines and hearing dates shall stand.