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U.S. v. Gibson, 2:16-cr-00333-JAD-VCF. (2016)

Court: District Court, D. Nevada Number: infdco20170103986 Visitors: 6
Filed: Dec. 30, 2016
Latest Update: Dec. 30, 2016
Summary: STIPULATION TO CONTINUE DEADLINE FOR GOVERNMENT'S RESPONSE TO DEFENDANT'S MOTION TO SUPRESS (Doc #15) (First request) CAM FERENBACH , Magistrate Judge . IT IS HEREBY STIPULATED AND AGREED, by and between Daniel G. Bogden, United States Attorney, and Alexandra Michael., Assistant United States Attorney, counsel for the United States of America, and Raquel Lazo, Esq., counsel for Defendant ROBERT LEE GIBSON, that the deadline for Government's Response to Defendant's Motion to Suppress, curre
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STIPULATION TO CONTINUE DEADLINE FOR GOVERNMENT'S RESPONSE TO DEFENDANT'S MOTION TO SUPRESS (Doc #15)

(First request)

IT IS HEREBY STIPULATED AND AGREED, by and between Daniel G. Bogden, United States Attorney, and Alexandra Michael., Assistant United States Attorney, counsel for the United States of America, and Raquel Lazo, Esq., counsel for Defendant ROBERT LEE GIBSON, that the deadline for Government's Response to Defendant's Motion to Suppress, currently set for December 30, 2016, Doc. #15, be vacated and continued for ten (10 January 9, 2017, or to a date to be set at the Court's convenience.

This stipulation is entered for the following reasons

1. The government needs additional time to review Defendant's Motion to Suppress and file a response.

2. The parties agree to the continuance.

3. For the reasons stated above, the ends of justice would best be served by a continuance of the deadline.

4. Additionally, denial of this request for continuance could result in a miscarriage of justice.

5. The additional time requested by this Stipulation is excludable in computing the time within which the trial herein must commence pursuant to the Speedy Trial Act, Title 18, United States Code, Section 3161(h)(1)(D) and 3161(h)(7) and Title 18, United States Code, Section 3161(h)(7)(A) and (h)(3)(A), when considering the facts under Title 18, United States Code, Sections 3161(h)(7)(B), 3161(h)(7)(B)(i),and 3161(h)(7)(B)(iv).

6. This is the first request for a continuance filed herein.

ORDER CONTINUING GOVERNMENT'S RESPONSE TO DEFENDANT'S MOTION TO SUPPRESS (Doc # 15)

(First request)

FINDING OF FACTS

This stipulation is entered for the following reasons:

1. The government needs additional time to review Defendant's Motion to Suppress and file a response.

2. The parties agree to the continuance.

3. For the reasons stated above, the ends of justice would best be served by a continuance of the deadline.

CONCLUSIONS OF LAW

4. Additionally, denial of this request for continuance could result in a miscarriage of justice.

5. The additional time requested by this Stipulation is excludable in computing the time within which the trial herein must commence pursuant to the Speedy Trial Act, Title 18, United States Code, Section 3161(h)(1)(D) and 3161(h)(7) and Title 18, United States Code, Section 3161(h)(7)(A) and (h)(3)(A), when considering the facts under Title 18, United States Code, Sections 3161(h)(7)(B), 3161(h)(7)(B)(i),and 3161(h)(7)(B)(iv).

6. This is the first request for a continuance filed herein.

ORDER

Based on the pending Stipulation of counsel, and good cause appearing therefore, IT IS HEREBY ORDERED, that Government's Response to Defendant's Motion to Suppress, currently scheduled for December 30, 2016, be vacated and continued to January 9, 2017

Source:  Leagle

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