Filed: Jan. 05, 2015
Latest Update: Jan. 05, 2015
Summary: STIPULATION REGARDING EXCLUDABLE TIME PERIODS UNDER SPEEDY TRIAL ACT; [PROPOSED] FINDINGS AND ORDER JOHN A. MENDEZ, District Judge. STIPULATION Plaintiff, United States of America, by and through its counsel of record, and defendant, Gennadiy Yurkevich, by and through his counsel of record, hereby stipulate as follows: 1. By previous order, this matter was set for Judgment and Sentencing on January 6, 2015. 2. By this stipulation, the government, joined by the defendant, now wishes to conti
Summary: STIPULATION REGARDING EXCLUDABLE TIME PERIODS UNDER SPEEDY TRIAL ACT; [PROPOSED] FINDINGS AND ORDER JOHN A. MENDEZ, District Judge. STIPULATION Plaintiff, United States of America, by and through its counsel of record, and defendant, Gennadiy Yurkevich, by and through his counsel of record, hereby stipulate as follows: 1. By previous order, this matter was set for Judgment and Sentencing on January 6, 2015. 2. By this stipulation, the government, joined by the defendant, now wishes to contin..
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STIPULATION REGARDING EXCLUDABLE TIME PERIODS UNDER SPEEDY TRIAL ACT; [PROPOSED] FINDINGS AND ORDER
JOHN A. MENDEZ, District Judge.
STIPULATION
Plaintiff, United States of America, by and through its counsel of record, and defendant, Gennadiy Yurkevich, by and through his counsel of record, hereby stipulate as follows:
1. By previous order, this matter was set for Judgment and Sentencing on January 6, 2015.
2. By this stipulation, the government, joined by the defendant, now wishes to continue Judgment and Sentencing from January 6, 2015 to April 7, 2015.
3. The parties agree and stipulate, and request that the Court find the following:
a. The related case of U.S. v. Vera Kuzmenko, et. al., Cr.S-11-210-JAM is to commence jury trial on January 12, 2015.
b. Defendant, Gennadiy Yurkevich is a cooperating witness who is expected to testify at the trial of Vera Kuzmenko, et.al..
c. The government does not wish to have Mr. Yurkevich sentenced until after he has testified and the defense has no opposition to the continuance.
d. Both the government and the defense agree to continue Judgment and Sentencing to April 7, 2015.
IT IS SO STIPULATED.
DATED: January 2, 2015 BENJAMIN B. WAGNER,
United States Attorney,
Lee Bickley,
by Jan David Karowsky w/
Ms. Bickley's approval
by
Lee Bickley
Assistant U.S. Attorney
by Jan David Karowsky
DATED: January 2, 2015 JAN DAVID KAROWSKY
Attorney at Law
A Professional Corporation
ORDER
Based on the Stipulation of the parties, the date for Judgment and Sentencing is continued to April 7, 2015 at 9:30 a.m..
IT IS SO FOUND AND ORDERED.