Opinion
Case No.: 2:08-CR-0427-MCE
09-07-2011
UNITED STATES OF AMERICA, Plaintiff, v. LANA LECHABRIER, Defendant.
Kresta Nora Daly, Attorney for Defendant Lana LeChabrier Kresta Daly Philip Ferrari, Assistant United States Attorney
KRESTA NORA DALY
Rothschild Wishek & Sands, LLP
Attorney for Lana LeChabrier
Stipulation and
Order Re-Setting Motion For
a New Trial and Sentencing
On July 20, 2011 the undersigned defense counsel was contacted by CJA Panel Administrator Kurt Heiser. Mr. Heiser asked defense counsel to accept representation of Dr. LeChabrier.
On or about July 27, 2011 defense counsel submitted a funding request to obtain the trial transcript in order to evaluate the motion for a new trial. As of the date of this Proposed Stipulation and Order defense counsel has not heard if the funding request has been approved and, therefore, has not ordered a copy of the trial transcript.
Other defendants in this matter have moved their sentencing hearing to November 17, 2011. Dr. LeChabrier wishes to move her motion for a new trial and potential sentencing to the same date.
Dr. LeChabrier further requests that the Court extend the 14-day deadline imposed by FRCrP Rule 33(b)(1) to November 17, 2011 in order to allow defense counsel to evaluate and/or bring a motion for a new trial.
Respectfully submitted,
Kresta Nora Daly, Attorney
for Defendant Lana LeChabrier
The government concurs in the request to extend the dates for the motion for a new trial and potential sentencing to November 17, 2011.
Respectfully submitted,
Kresta Daly
Philip Ferrari, Assistant United
States Attorney
ORDER
Good cause appearing, it is hereby ordered that the time to file a motion for a new trial on behalf of Dr. LeChabrier is extended from the 14-day deadline imposed by FRCrP Rule 33(b)(1) to November 17, 2011.
MORRISON C. ENGLAND, JR
UNITED STATES DISTRICT JUDGE