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United States v. Pride

UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA
Feb 26, 2013
NO. 2:11-cr-170 LKK (E.D. Cal. Feb. 26, 2013)

Opinion

NO. 2:11-cr-170 LKK

02-26-2013

UNITED STATES OF AMERICA, Plaintiff, v. MARCUS DESHAUN PRIDE, Defendant.

JOSEPH SCHLESINGER Acting Federal Defender BENJAMIN GALLOWAY Assistant Federal Defender Attorney for Defendant MARCUS PRIDE BENJAMIN B. WAGNER United States Attorney Benjamin Galloway for JASON HITT Assistant U.S. Attorney Attorney for Plaintiff


JOSEPH SCHLESINGER, Bar# 87692
Acting Federal Defender
BENJAMIN D. GALLOWAY, Bar# 214897
Assistant Federal Defender
801 I Street, 3rd Floor
Sacramento, California 95814
Telephone (916) 498-5700
Attorney for Defendant
MARCUS DESHAUN PRIDE

STIPULATION AND ORDER

CONTINUING STATUS CONFERENCE

AND EXCLUDING TIME


DATE: March 26, 2013

JUDGE: Lawrence K. Karlton

It is hereby stipulated and a greed to between the United States of America through JASON HITT, Assistant U.S. Attorney, and defendant, MARCUS DESHAUN PRIDE by and through his counsel, BENJAMIN GALLOWAY, Assistant Federal Defender, that the status conference set for Tuesday, February 26, 2013, be continued to Tuesday, March 26, 2013 at 9:15 a.m. for status conference.

The reason for this continuance is to allow defense counsel additional time to review discovery with the defendant, to examine possible defenses and to continue investigating the facts of the case.

It is further stipulated that the time period from the date of this stipulation, through and including the date of the new status conference, March 26, 2013, shall be excluded from computation of time within which the trial of this matter must be commenced under the Speedy Trial Act, pursuant to 18 U.S.C. §§ 3161 (h)(7)(B)(iv)and Local Code T4 [reasonable time for defense counsel to prepare], and that the ends of justice served by the granting of such continuance outweigh the interests of the public and the defendant in a speedy trial.

Respectfully submitted,

JOSEPH SCHLESINGER

Acting Federal Defender

______________

BENJAMIN GALLOWAY

Assistant Federal Defender

Attorney for Defendant

MARCUS PRIDE

BENJAMIN B. WAGNER

United States Attorney

Benjamin Galloway for

JASON HITT

Assistant U.S. Attorney

Attorney for Plaintiff

ORDER

Based on the stipulation of the parties and good cause appearing therefrom, the Court hereby adopts the stipulation of the parties in its entirety as its order. It is hereby ordered that the presently set February 26, 2013 status conference shall be continued to March 26, 2013 at 9:15 a.m. It is further ordered that the time period from the date of the parties' stipulation, through and including the date of the new status conference hearing, March 26, 2013, shall be excluded from computation of time within which the trial of this matter must be commenced under the Speedy Trial Act, pursuant to 18 U.S.C. § 3161 (h)(7)(B)(iv) and Local Code T4 [reasonable time for defense counsel to prepare].

Based on the stipulation of the parties and good cause appearing therefrom, the Court hereby finds that the failure to grant a continuance in this case would deny defense counsel reasonable time for effective preparation taking into account the exercise of due diligence. The Court specifically finds that the ends of justice served by the granting of such continuance outweigh the interests of the public and the defendant in a speedy trial.

IT IS SO ORDERED.

______________

LAWRENCE K. KARLTON

SENIOR JUDGE

UNITED STATES DISTRICT COURT


Summaries of

United States v. Pride

UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA
Feb 26, 2013
NO. 2:11-cr-170 LKK (E.D. Cal. Feb. 26, 2013)
Case details for

United States v. Pride

Case Details

Full title:UNITED STATES OF AMERICA, Plaintiff, v. MARCUS DESHAUN PRIDE, Defendant.

Court:UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA

Date published: Feb 26, 2013

Citations

NO. 2:11-cr-170 LKK (E.D. Cal. Feb. 26, 2013)