Filed: Mar. 22, 2017
Latest Update: Mar. 22, 2017
Summary: STIPULATION TO DEFER INITIAL APPEARANCE OF SUSAN SIEGEL GEORGE FOLEY, Jr. , Magistrate Judge . IT IS HEREBY STIPULATED by and between, WILLIAM B. TERRY, ESQ., of the law offices of WILLIAM B. TERRY, CHARTERED, counsel for Defendant, SUSAN SIEGEL, and Assistant United States Attorneys DANIEL COWHIG and KILBY C. MCFADDEN, counsel for Plaintiff, UNITED STATES OF AMERICA, that the initial appearance of the Defendant Susan Siegel be deferred one week until March 29, 2017 at 3:00 p.m. by this Ho
Summary: STIPULATION TO DEFER INITIAL APPEARANCE OF SUSAN SIEGEL GEORGE FOLEY, Jr. , Magistrate Judge . IT IS HEREBY STIPULATED by and between, WILLIAM B. TERRY, ESQ., of the law offices of WILLIAM B. TERRY, CHARTERED, counsel for Defendant, SUSAN SIEGEL, and Assistant United States Attorneys DANIEL COWHIG and KILBY C. MCFADDEN, counsel for Plaintiff, UNITED STATES OF AMERICA, that the initial appearance of the Defendant Susan Siegel be deferred one week until March 29, 2017 at 3:00 p.m. by this Hon..
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STIPULATION TO DEFER INITIAL APPEARANCE OF SUSAN SIEGEL
GEORGE FOLEY, Jr., Magistrate Judge.
IT IS HEREBY STIPULATED by and between, WILLIAM B. TERRY, ESQ., of the law offices of WILLIAM B. TERRY, CHARTERED, counsel for Defendant, SUSAN SIEGEL, and Assistant United States Attorneys DANIEL COWHIG and KILBY C. MCFADDEN, counsel for Plaintiff, UNITED STATES OF AMERICA, that the initial appearance of the Defendant Susan Siegel be deferred one week until March 29, 2017 at 3:00 p.m. by this Honorable Court.
This stipulation is entered into based on the following reasons:
1. That counsel for the Defendant, Susan Siegel, is requesting this continuance due to the following reasons:
(a) Counsel has recently been retained to represent the Defendant in the instant action;
(b) That the Defendant Susan Siegel has entered into a plea agreement with the United States. To avoid repeated travel, the Defendant will request the Court set her initial appearance summons for arraignment and entry of plea the day prior to the date set for her change of plea pursuant to the plea agreement; and
(c) That the Defendant Susan Siegel resides out of state and will need to make arrangements to come to Las Vegas for purposes of appearing before this Honorable Court.
2. Counsel for the Defendant has spoken to the Defendant and the Defendant has no objection to the requested continuance;
3. Counsel for the Defendant has spoken to counsel for the Plaintiff and have no objection to the requested continuance;
4. This is the first request for a continuance of the initial appearance date in this case.
ORDER
IT IS ORDERED that the initial appearance for Defendant Susan Siegel currently scheduled for March 22, 2017, be deferred until March 29, 2017, at the hour of 3:00 p.m.