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U.S. v. Nin, 1:18-cr-00078 LJO/SKO. (2018)

Court: District Court, E.D. California Number: infdco20180816a13 Visitors: 33
Filed: Aug. 15, 2018
Latest Update: Aug. 15, 2018
Summary: STIPULATION TO CONTINUE AUGUST 20, 2018 STATUS CONFERENCE TO OCTOBER 29, 2018; ORDER SHEILA K. OBERTO , Magistrate Judge . THE PARTIES HEREBY STIPULATE, through their respective attorneys of record, Assistant United States Attorney Brian W. Enos, counsel for the government, and Richard A. Beshwate, Jr., counsel for Defendant David Jahve Nin ("defendant"), that this action's Monday, August 20, 2018 status conference be continued to Monday, October 29, 2018, at 1:00 p.m. The parties base t
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STIPULATION TO CONTINUE AUGUST 20, 2018 STATUS CONFERENCE TO OCTOBER 29, 2018; ORDER

THE PARTIES HEREBY STIPULATE, through their respective attorneys of record, Assistant United States Attorney Brian W. Enos, counsel for the government, and Richard A. Beshwate, Jr., counsel for Defendant David Jahve Nin ("defendant"), that this action's Monday, August 20, 2018 status conference be continued to Monday, October 29, 2018, at 1:00 p.m.

The parties base this stipulation on good cause. To explain, on July 3, 2018, defendant appeared at the U.S. District Court in Fresno for his arraignment. Doc. 5. Defendant appeared on July 9, 2018 for his detention hearing, and pursuant to the same was ordered detained pending trial. Doc. 7. At the conclusion of the detention hearing, the court set an initial status conference to take place on August 20, 2018. Id.

On July 13, 2018, defense counsel, Richard A. Beshwate, Jr., was appointed to represent defendant in this case. Doc. 9. On July 19, 2018, the parties filed a stipulation and proposed protective order, which would enable the government to produce discovery without redactions. Doc. 10. The district court endorsed the parties' stipulation by way of formal order later that day. Doc. 11. The government mailed discovery to defense counsel on July 23, 2018.

The parties met and conferred about this case through an exchange of email messages earlier today. Defendant continues to work through discovery provided. In addition, counsel for the government advised defense counsel that, should the defense wish to forensically examine the electronic evidence in this case, the government would assist the defense with respect to arranging for this review to take place at HSI's offices and in accordance with relevant provisions of the Adam Walsh Act. The parties anticipate that discovery can be reviewed, and electronic evidence forensically examined, by their proposed continuance date of October 29, 2018.

For the above stated reasons, the stipulated continuance will conserve time and resources both for the parties and the court, and the delay resulting from this continuance shall be excluded in the interests of justice pursuant to 18 U.S.C. §§ 3161(h)(7)(A).

ORDER

IT IS SO ORDERED.

Source:  Leagle

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