Opinion
No. CR 09-00096 LHK
10-14-2011
MELINDA HAAG (CABN 132612) United States Attorney MIRANDA KANE (CABN 1506301) Chief, Criminal Division GRANT P. FONDO (CABN 181530) JEFFREY NEDROW (CABN 161299) Assistant United States Attorneys Attorneys for Plaintiff
MELINDA HAAG (CABN 132612)
United States Attorney
MIRANDA KANE (CABN 1506301)
Chief, Criminal Division
GRANT P. FONDO (CABN 181530)
JEFFREY NEDROW (CABN 161299)
Assistant United States Attorneys
Attorneys for Plaintiff
STIPULATION AND [PROPOSED] ORDER REGARDING PRE-TRIAL SCHEDULE
The parties, the United States of America, by and through Assistant United States Attorney Grant Fondo, and defendant Nelson Orellana, through his attorney Phil Vaughns, respectfully submit the following proposed pre-trial filing deadlines:
1. December 15, 2011
a. Motions in limine2. December 22, 2011
b. Joint Pre-Trial Conference Statement and Order
c. Trial briefs (if any)
a. Oppositions, if any, to motions in limine3. January 5, 2012
b. Proposed jury instructions
c. Proposed voir dire questions
d. Proposed written jury questionnaire (if any)
e. Proposed verdict form
a. Exchange of exhibits, summaries, charts, and diagrams to be used at trial4. January 16, 2012
b. Exhibit list
c. Witness list
a. Each party shall deliver three sets of its pre-marked exhibits contained in three ring binders, to Martha Parker Brown, Courtroom Deputy to Judge Koh.
MELINDA HAAG
United States Attorney
GRANT P. FONDO
Assistant United States Attorney
PHIL VAUGHNS
Counsel for Nelson Orellana
ORDER
Based upon the request of the parties, and for good cause shown, the Court adopts the above pre-trial filing schedule. IT IS SO ORDERED.
LUCY H. KOH
UNITED STATES DISTRICT JUDGE