Opinion
3:21-cr-00053-MMD-WGC
04-11-2022
RENE L. VALLADARES Federal Public Defender Nevada State Bar No. 11479 KATE BERRY Assistant Federal Public Defender Nevada State Bar No. 14346 Attorney for KATHY COOKSEY CHRISTOPHER CHIOU Acting United States Attorney RICHARD CASPER Assistant United States Attorney Counsel for United States
RENE L. VALLADARES
Federal Public Defender
Nevada State Bar No. 11479
KATE BERRYAssistant Federal Public Defender
Nevada State Bar No. 14346
Attorney for KATHY COOKSEY
CHRISTOPHER CHIOU
Acting United States Attorney
RICHARD CASPER
Assistant United States Attorney
Counsel for United States
STIPULATION TO CONTINUE MOTION DEADLINES
(FIRST REQUEST)
MIRANDA M. DU, CHIEF UNITED STATES DISTRICT JUDGE
IT IS HEREBY STIPULATED AND AGREED, by and between Rene L. Valladares, Federal Public Defender, and KATE BERRY, Assistant Federal Public Defender, counsel for KATHY COOKSEY, Christopher Chiou, Acting United States Attorney, and RICHARD CASPER, Assistant United States Attorney, counsel for the United States of America, that the parties herein shall have to and including April 19, 2022, to file any and all pretrial motions and notices of defense.
IT IS FURTHER STIPULATED AND AGREED, by and between the parties, that they shall have to and including May 3, 2022, to file any and all responsive pleadings.
IT IS FURTHER STIPULATED AND AGREED, by and between the parties, that they shall have to and including May 10, 2022, to file any and all replies to dispositive motions.
This is the first stipulation to continue the motions deadlines. Counsel is requesting additional time to file pretrial motions mindful of the current trial date of June 6, 2022 at 9:00 AM, the exercise of due diligence, in the interests of justice, and not for any purpose of delay.
IT IS SO ORDERED.