Opinion
CASE NO. 1:08-CR-00232 LJO
10-07-2011
UNITED STATES OF AMERICA, Plaintiff, v. CURTIS HENDRIX, Defendant.
Respectfully submitted, BENJAMIN B. WAGNER United States Attorney By KIMBERLY A. SANCHEZ Assistant U.S. Attorney JON RENGE Attorney for Defendant
BENJAMIN B. WAGNER
United States Attorney
KIMBERLY A. SANCHEZ
Assistant U.S. Attorney
STIPULATION AND ORDER FOR EXTENSION OF TIME FOR GOVERNMENT TO FILE RESPONSE
TO DEFENDANT'S MOTION TO SUPPRESS
IT IS HEREBY STIPULATED by and between Benjamin B. Wagner, United States Attorney and Kimberly A. Sanchez, Assistant U.S. Attorney and Jon Renge, attorney for defendant, that the motion schedule be revised as follows:
1. Defense motions - already filed, no change requested;
2. Government's response by October 19, 2011;
3. Motion hearing October 21, 2011;
4. Trial date of November 7, 2011 at 8:30 am remains the same.
The defense previously obtained an unopposed extension of time to file his motions. The government is requesting this extension and continuance as the government now needs additional time to research the facts and law to support its position in opposition to the defendant's motion to suppress. Counsel for the defendant has no objection to the request.
No exclusion of time is necessary under the Speedy Trial Act as the trial date remains the same.
Respectfully submitted,
BENJAMIN B. WAGNER
United States Attorney
By KIMBERLY A. SANCHEZ
Assistant U.S. Attorney
JON RENGE
Attorney for Defendant
IT IS SO ORDERED.
Lawrence J. O'Neill
UNITED STATES DISTRICT JUDGE