Opinion
CASE NO. CR S-11-00069 - JAM
09-19-2011
Respectfully submitted. Kyle R. Knapp Attorney for Defendant, Sergio Cobian Respectfully submitted. William S. Wong Assistant U.S. Attorney Attorney for Plaintiff
KYLE R. KNAPP
Attorney at Law
Attorney for Sergio Cobian
STIPULATION AND ORDER TO CONTINUE STATUS CONFERENCE,
AND TO EXCLUDE TIME PURSUANT TO THE SPEEDY TRIAL ACT
IT IS HEREBY STIPULATED by and between the parties hereto through their respective counsel, William S. Wong, Assistant United States Attorney, attorney for plaintiff; Kyle Knapp, attorney for defendant, SERGIO COBIAN, that the previously scheduled status conference date of September 20, 2011, be vacated and the matter set for status conference on October 4, 2011 at 9:30 a.m.
This continuance is requested to allow counsel additional time to finalize the details of the plea agreement.
Accordingly, counsel and the defendant agree that time under the Speedy Trial Act from the date this stipulation is lodged, through October 4, 2011, should be excluded in computing time within which trial must commence under the Speedy Trial Act, pursuant to 18 U.S.C. §§ 3161 (h)7(A) and B(iv), and Local Code T4[reasonable time for defense counsel to prepare].
Respectfully submitted.
Kyle R. Knapp
Attorney for Defendant, Sergio Cobian
Respectfully submitted.
William S. Wong
Assistant U.S. Attorney
Attorney for Plaintiff
SO ORDERED.
HON. JOHN A. MENDEZ
JUDGE
UNITED STATES DISTRICT COURT