Opinion
1:18-CR-206-DAD
06-29-2021
PHILLIP A. TALBERT Acting United States Attorney KAREN A. ESCOBAR Assistant United States Attorney 2500 Tulare Street, Suite 4401 Fresno, CA 93721 Telephone: (559) 497-4000 Facsimile: (559) 497-4099 Attorneys for Plaintiff United States of America ALEKXIA TORRES STALLINGS Counsel for Defendant PABLO JESUS MARIN
PHILLIP A. TALBERT Acting United States Attorney KAREN A. ESCOBAR Assistant United States Attorney 2500 Tulare Street, Suite 4401 Fresno, CA 93721 Telephone: (559) 497-4000 Facsimile: (559) 497-4099 Attorneys for Plaintiff United States of America
ALEKXIA TORRES STALLINGS Counsel for Defendant PABLO JESUS MARIN
STIPULATION TO CONTINUE; ORDER
Barbara A. McAuliffe UNITED STATES MAGISTRATE JUDGE
STIPULATION
1. By previous order, this matter was set for status on July 1, 2021.
2. By this stipulation, defendants now move to continue the status conference until August 26, 2021
3. The parties agree and stipulate to the following:
a) Counsel for defendant desires additional time to review discovery, conduct further investigation, and discuss potential resolution.
b) Counsel for defendant is also currently in trial.
c) The government does not object to the continuance.
d) The probation officer is available on the proposed new date.
IT IS SO STIPULATED.
ORDER
IT IS SO ORDERED that the status conference currently set for 7/1/2021 to August 26, 2021 at 2 pm before Magistrate Judge Barbara A. McAuliffe.
IT IS SO ORDERED.