Opinion
2:23-cr-00070-RFB-NJK-1
10-17-2023
RENE L. VALLADARES Federal Public Defender Nevada State Bar No. 11479 BENJAMIN F. J . NEMEC Assistant Federal Public Defender Attorney for Travis Hasty JASON M. FRIERSON United States Attorney By: Imani Dixon IMANIDIXON Assistant United States Attorney
RENE L. VALLADARES
Federal Public Defender
Nevada State Bar No. 11479
BENJAMIN F. J . NEMEC
Assistant Federal Public Defender
Attorney for Travis Hasty
JASON M. FRIERSON
United States Attorney
By: Imani Dixon
IMANIDIXON Assistant United States Attorney
STIPULATION TO CONTINUE DEADLINE TO FILE REPLIES
IT IS HEREBY STIPULATED AND AGREED, by and between Jason M. Frierson, United States Attorney, and Imani Dixon, Assistant United States Attorney, counsel for the United States of America, and Rene L. Valladares, Federal Public Defender, and Benjamin F. J. Nemec, Assistant Federal Public Defender, counsel for Travis Hasty, that the reply to government's response in opposition to motion dismiss (ECF No. 25) and reply to government's response in opposition to motion to suppress (ECF No. 26), currently due October 19, 2023, be vacated and continued seven (7) days, up to and including October 26, 2023, within which to file his reply.
The Stipulation is entered into for the following reasons:
1. Counsel for defense needs additional time to file the Replies due October 19, 2023 because of conflicting deadlines.
2. The defendant is not incarcerated and does not object to the continuance.
3. The parties agree to the continuance.
This is the first stipulation to continue filed herein.
ORDER
IT IS THEREFORE ORDERED Mr. Hasty has to and including October 26, 2023, within which to file his reply to government's response in opposition to motion dismiss (ECF No. 25) and reply to government's response in opposition to motion to suppress (ECF No. 26).