Opinion
2:19-cr-00327-GMN-VCF
10-12-2023
UNITED STATES OF AMERICA, Plaintiff, v. JACQUES ANTON LANIER, Defendant.
JASON M. FRIERSON United States Attorney Nevada Bar No. 7709 BIANCA R. PUCCI Nevada Bar No. 16129 NADIA AHMED Nevada Bar No. 15489 Assistant United States Attorneys Attorneys for the United States of America Anthony P. Sgro, Esq. SGRO & ROGER Assistant United States Attorney Christopher R. Oram Christopher R. Oram, Esq. Attorneys for Jacques Anton Lanier
JASON M. FRIERSON United States Attorney Nevada Bar No. 7709 BIANCA R. PUCCI Nevada Bar No. 16129 NADIA AHMED Nevada Bar No. 15489 Assistant United States Attorneys Attorneys for the United States of America
Anthony P. Sgro, Esq. SGRO & ROGER Assistant United States Attorney Christopher R. Oram Christopher R. Oram, Esq. Attorneys for Jacques Anton Lanier
STIPULATION TO ADVANCE BRIEFING SCHEDULE REGARDING DEFENDANT'S MOTION TO SUPPRESS (ECF No. 261)
THE HONORABLE CAMFERENBACH UNITED STATES MAGISTRATE JUDGE
IT IS HEREBY STIPULATED AND AGREED, by and between JASON M. FRIERSON, United States Attorney, and BIANCA R. PUCCI and NADIA AHMED, Assistant United States Attorneys, counsel for the United States of America, and CHRISTOPHER ORAM, ESQ., and ANTHONY P. SGRO, ESQ., counsel for Defendant JACQUES ANTON LANIER, that the current briefing schedule regarding defendant's motion to suppress be advanced.
This stipulation is entered into for the following reasons:
1. On August 28, 2023, Mr. Lanier, by and through his attorneys of record, filed: a Motion for Leave to File Under Seal (ECF 256); a Motion to Suppress (under seal, pending Court approval to seal said Motion) (ECF 257), and Exhibits in Support of the Motion to Suppress (under seal, pending Court approval to seal said Exhibits) (ECF 258).
2. On August 29, 2023, counsel for the parties conducted a phone conference and stipulated that Mr. Lanier would withdraw his Motion for Leave to File Under Seal (ECF 256), the Motion to Suppress (ECF 257), and Exhibits in Support of Motion to Suppress (ECF 258), and that Mr. Lanier would re-file redacted versions of the Motion to Suppress and the Exhibits in Support of Motion to Suppress.
3. On September 7, 2023, the parties filed a stipulation consistent with the agreement of the parties. Additionally, the parties stipulated to an extended briefing schedule due to conflicts in the parties' schedules. ECF No. 259.
4. On September 14, 2023, defendant refiled the motion to suppress as stipulated. ECF No. 261.
5. On September 21, 2023, the government informed defendant that its initial conflict cleared from the government's schedule, and that it would be able to file its response earlier and sought an advanced briefing schedule. The parties agreed to advance the briefing schedule.
6. Trial is currently scheduled for January 22, 2024. ECF No. 250.
7. The parties seek to advance the briefing schedule in order to maintain the current trial date of January 22, 2024.
8. The parties stipulate that the government shall file its response to defendant's motion to suppress on or before October 13, 2023.
9. The parties stipulate that the defendant shall file his reply on or before November 10, 2023.
ORDER
Based on the pending Stipulation of counsel, and good cause appearing:
IT IS HEREBY ORDERED that the government shall file its response to defendant's motion to suppress on or before October 13, 2023.
IT IS FURTHER ORDERED that defendant shall file his reply on or before November 10, 2023.