Opinion
2:11-cr-109-LDG-RJJ
08-11-2011
RENE L. VALLADARES Federal Public Defender RAQUEL LAZO Assistant Federal Public Defender Attorney for JUAN GOMEZ-SANDOVAL
RENE L. VALLADARES
Federal Public Defender
RAQUEL LAZO
Assistant Federal Public Defender
Attorney for JUAN GOMEZ-SANDOVAL
MOTION TO WITHDRAW WITHOUT PREJUDICE
THE MOTION FOR INFORMATON PERTAINING TO
EDILBERTO OJEDA (CR# 27) AND THE SUPPLEMENTAL
MOTION FOR INFORMATION PERTAINING TO
EDILBERTO OJEDA (CR#28)
COMES NOW the defendant, JUAN GOMEZ-SANDOVAL, by and through his counsel of record, RAQUEL LAZO, Assistant Federal Public Defender, who files this Motion to Withdraw Motion for Information Pertaining to Edilberto Ojeda (CR#27) and the Supplemental Motion For Information Pertaining To Edilberto Ojeda (CR#28). This motion is based upon the attached Memorandum of Points and Authorities and all of the papers and pleadings on file herein.
RENE L. VALLADARES
Federal Public Defender
RAQUEL LAZO,
Assistant Federal Public Defender
MEMORANDUM OF POINTS AND AUTHORITIES
FACTUAL BACKGROUND
On July 1, 2011, undersigned counsel filed a Motion for Information Pertaining to Edilberto Ojeda (CR#27). On July 7, 2011, undersigned counsel filed a Supplemental Motion For Information Pertaining To Edilberto Ojeda (CR#28). The parties have come to an informal resolution of this matter and negotiated the case rendering the motion and supplement unnecessary. Mr. Gomez, through his attorney of record, Raquel Lazo, hereby respectfully requests that this court withdraw without prejudice his Motion for Information Pertaining to Edilberto Ojeda and the Supplemental Motion For Information Pertaining To Edilberto Ojeda
Respectfully submitted,
RAQUEL LAZO
Assistant Federal Public Defender
IT IS SO ORDERED. MOTIONS (#2 7 & #2 8) ARE WITHDRAWN FROM CONSIDERATION BY THE COURT.
UNITED STATES MAGISTRATE JUDGE