U.S. v. Buchannon, 2:14-CR-00315-JCM-VCF. (2015)
Court: District Court, D. Nevada
Number: infdco20150501l55
Visitors: 22
Filed: Apr. 29, 2015
Latest Update: Apr. 29, 2015
Summary: EMERGENCY STIPULATION JAMES C. MAHAN , District Judge . IT IS HEREBY STIPULATED by and between ROBERT BUCHANNON, Defendant, by and through his counsel DUSTIN R. MARCELLO, ESQ., and the United States of America, KATHRYN NEWMAN, Assistant United States Attorney, that Defendant Buchannon is allowed to travel and from Michigan to handle his legal matters. This Stipulation is entered into for the following reasons 1. Counsel has spoken to Assistant United States Attorney Kathryn Newman and she
Summary: EMERGENCY STIPULATION JAMES C. MAHAN , District Judge . IT IS HEREBY STIPULATED by and between ROBERT BUCHANNON, Defendant, by and through his counsel DUSTIN R. MARCELLO, ESQ., and the United States of America, KATHRYN NEWMAN, Assistant United States Attorney, that Defendant Buchannon is allowed to travel and from Michigan to handle his legal matters. This Stipulation is entered into for the following reasons 1. Counsel has spoken to Assistant United States Attorney Kathryn Newman and she ..
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EMERGENCY STIPULATION
JAMES C. MAHAN, District Judge.
IT IS HEREBY STIPULATED by and between ROBERT BUCHANNON, Defendant, by and through his counsel DUSTIN R. MARCELLO, ESQ., and the United States of America, KATHRYN NEWMAN, Assistant United States Attorney, that Defendant Buchannon is allowed to travel and from Michigan to handle his legal matters.
This Stipulation is entered into for the following reasons
1. Counsel has spoken to Assistant United States Attorney Kathryn Newman and she has no opposition to allow Defendant Buchannon to travel to and from Michigan to handle his legal matters. Mr. Buchannon needs to travel to Michigan by Friday, May 1, 2015, of this week in order to meet with his attorney and prepare for his upcoming arraignment.
2. Counsel has spoken to Pretrial Officer Kamu Kapanui and he has no has no opposition to allow Defendant Buchannon to travel to and from Michigan to handle his legal matters
3. Defendant Buchannon has an outstanding warrant out of the State of Michigan. His appearance is needed in order to satisfy the warrant.
UNITED STATES OF AMERICA, 2:13-CR-00257-LDG-PAL
Plaintiff,
STIPULATION AND ORDER TO
v. CONTINUE CALENDAR
CALL AND TRIAL.
DELFINO SOLORZANO
Defendants.
FINDINGS OF FACTS
Based on the pending Stipulation of counsel, and good cause appearing therefore, the Court finds:
1. Counsel has spoken to Assistant United States Attorney Kathryn Newman and she has no opposition to allow Defendant Buchannon to travel to and from Michigan to handle his legal matters. Mr. Buchannon needs to travel to Michigan by Friday, May 1, 2015, of this week in order to meet with his attorney and prepare for his upcoming arraignment.
2. Counsel has spoken to Pretrial Officer Kamu Kapanui and he has no has no opposition to allow Defendant Buchannon to travel to and from Michigan to handle his legal matters
3. Defendant Buchannon has an outstanding warrant out of the State of Michigan. His appearance is needed in order to satisfy the warrant.
ORDER
IT IS ORDERED that Defendant Robert Buchannon is allowed to travel to and from Michigan to handle is legal matter.
IT IS FURTHER ORDERED that Defendant Robert Buchannon informs Pretrial Officer Kapanui of his travel arrangements.
Source: Leagle