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United States v. Litheredge, 2:19-CR-00211-GMN-NJK. (2019)

Court: District Court, D. Nevada Number: infdco20191023818 Visitors: 5
Filed: Oct. 18, 2019
Latest Update: Oct. 18, 2019
Summary: Stipulation to Continue Response to Filed Motion to Suppress Second Request NANCY J. KOPPE , Magistrate Judge . IT IS HEREBY STIPULATED AND AGREED, by and between Nicholas A. Trutanich, United States Attorney, and Brian Whang, Assistant United States Attorney, counsel for the United States of America, and Sunethra Muralidhara, counsel for Robert Carl Litheredge, Jr., that the due date for the Government's Response to the Defendant's Motion to Suppress, filed on September 30, 2019, be exten
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Stipulation to Continue Response to Filed Motion to Suppress Second Request

IT IS HEREBY STIPULATED AND AGREED, by and between Nicholas A. Trutanich, United States Attorney, and Brian Whang, Assistant United States Attorney, counsel for the United States of America, and Sunethra Muralidhara, counsel for Robert Carl Litheredge, Jr., that the due date for the Government's Response to the Defendant's Motion to Suppress, filed on September 30, 2019, be extended to October 28, 2019.

This Stipulation is entered into for the following reasons:

1. The parties are moving to resolve this matter before an evidentiary hearing may be required. 2. Counsel for the Government requests additional time to respond to Defendant's Motion to Suppress filed on September 30, 2019. 3. The parties agree to the continuance 4. The additional time requested by this Stipulation is made in good faith and not for purposes of delay. 5. This is the second stipulation to be filed herein. DATED this 17th day of October, 2019. NICHOLAS A. TRUTANICH, SUNETHRA MURALIDHARA, ESQ. United States Attorney By: /s/ Brian Y. Whang By: /s/ Sunethra Muralidhara BRIAN Y. WHANG SUNETHRA MURALIDHARA Assistant United States Attorney Counsel for Robert Carl Litheredge, Jr.

ORDER

FINDINGS OF FACTS

Based on the pending Stipulation of counsel, and good cause appearing therefore, the Court finds that:

1. Counsel for the Government needs additional time to respond to Defendant's Motion to Suppress filed on September 30, 2019. 2. The parties agree to the continuance. 3. The additional time requested by this Stipulation is made in good faith and not for purposes of delay. 4. This is the second stipulation to be filed herein.

ORDER

IT IS THEREFORE ORDERED, that the Government herein shall have to and including October 28, 2019, to file any and all Responses to Defendant's Motion to Suppress filed on September 30, 2019.

IT IS FURTHER ORDERED that any replies to the Response shall be filed no later than November 4, 2019.

Source:  Leagle

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