Opinion
Cr.S. 09-222-GEB
10-25-2011
DANIEL J. BRODERICK Federal Defender DENNIS S. WAKS Supervising Assistant Federal Defender Attorney for Defendant KHAMALE KEOVILAY Dennis S. Waks for ALICE W. WONG, Attorney for DAVID CHENG Dennis S. Waks for MICHAEL B. BIGELOW, Attorney for MINH THAM Dennis S. Waks for MICHAEL D. LONG, Attorney for DUNG NGUYEN Dennis S. Waks for OLAF W. HEDBERG, Attorney for SANG HIN SAELEE Dennis S. Waks for CHRISTOPHER H. WING, Attorney for LONG NGUYEN Dennis S. Waks for KEN GIFFARD Attorney for TUAN DAO BENJAMIN B. WAGNER United States Attorney Dennis S. Waks for TODD D. LERAS Assistant U.S. Attorney
DANIEL J. BRODERICK, Bart# 89424
Federal Defender
Dennis S. Waks, Bar #142581
Supervising Assistant Federal Defender
Attorney for Defendant
KHAMALE KEOVILAY
STIPULATION AND ORDER
DATE: December 2, 2011
TIME: 9:00 a.m.
JUDGE: Hon. Garland E. Burrell
It is hereby stipulated and agreed to by the United States of America through TODD D. LERAS, Assistant United States Attorney, defendant, KHAMALE KEOVILAY, by and though his counsel, DENNIS S. WAKS, Supervising Assistant Federal Defender, defendant, DAVID CHENG by and through his attorney, ALICE W. WONG, defendant MINGH THAM, by and through his attorney MICHAEL B. BIGELOW, defendant DUNG NGUYEN, by and through his attorney MICHAEL D. LONG, SANG HIN SAELEE, by and through his attorney, OLAF W. HEDBERG, defendant LONG NGUYEN, by and through his attorney, CHRISTOPHER H. WING, and defendant TUAN DAO, by and through his attorney KEN GIFFARD, that the status conference set for Friday, October 28, 2011, be continued to a status conference on Friday, December 2, 2011, at 9:00 a.m.
This continuance is being requested because defense counsel needs additional time to prepare, to review discovery, and to interview witnesses. The parties have received a large amount of discovery, including Title III documents.
Furthermore, the parties stipulate and agree that the interest of justice served by granting this continuance outweighs the best interest of the public and the defendants in a speedy trial. (18 U.S.C. §3161(h)(7)(A)).
Speedy trial time is to be excluded from the date of this order through the date of the status conference set for December 2, 2011, pursuant to 18 U.S.C. § 3161 (h)(7)(B)(iv) [reasonable time to prepare] (Local Code T4).
Respectfully submitted,
DANIEL J. BRODERICK
Federal Defender
DENNIS S. WAKS
Supervising Assistant Federal Defender
Attorney for Defendant
KHAMALE KEOVILAY
Dennis S. Waks for
ALICE W. WONG, Attorney for
DAVID CHENG
Dennis S. Waks for
MICHAEL B. BIGELOW, Attorney for
MINH THAM
Dennis S. Waks for
MICHAEL D. LONG, Attorney for
DUNG NGUYEN
Dennis S. Waks for
OLAF W. HEDBERG, Attorney for
SANG HIN SAELEE
Dennis S. Waks for
CHRISTOPHER H. WING, Attorney for
LONG NGUYEN
Dennis S. Waks for
KEN GIFFARD Attorney for
TUAN DAO
BENJAMIN B. WAGNER
United States Attorney
Dennis S. Waks for
TODD D. LERAS
Assistant U.S. Attorney
ORDER
IT IS SO ORDERED.
GARLAND E. BURRELL, JR.
United States District Judge