Opinion
No. CR-S-06-0441 GEB
09-21-2011
UNITED STATES OF AMERICA, Plaintiff, v. WENDALL STEWART, et al, Defendants.
JOHN R. MANNING Attorney for Defendant Ricardo Venegas DAVID D. FISCHER Attorney for Defendant Vigilio Pineda CANDACE A. FRY Attorney for Defendant Wendell Stewart EDWARD C. BELL Attorney for Defendant Isauro Jauregui Catalan
JOHN R. MANNING (SBN 220874)
ATTORNEY AT LAW
Attorney for Defendant
RICARDO VENEGAS
STIPULATION AND
ORDER CONTINUING
STATUS CONFERENCE
Judge: Honorable Garland E. Burrell, Jr.
IT IS HEREBY stipulated between the United States of America through its undersigned counsel, Jill M. Thomas, Assistant United States Attorney, together with counsel for defendant Ricardo Venegas, John R. Manning, Esq., counsel for defendant Vigilio Pineda, David D. Fischer, Esq., counsel for defendant Wendell Stewart, Candace A. Fry, Esq., and counsel for defendant Isauro Jauregui Catalan, Edward C. Bell, Esq., that the status conference presently set for September 30, 2011 be continued to November 4, 2011, at 9:00 a.m., thus vacating the presently set status conference.
Further, all of the parties, the United States of America and all of the defendants as stated above, hereby agree and stipulate that the ends of justice served by the granting of such a continuance outweigh the best interests of the public and the defendants in a speedy trial and that time under the Speedy Trial Act should therefore be under meaning of Title 18, United States Code§ 3161(h)(7)(B)(iv) (continuity of counsel/ reasonable time for effective preparation, specifically the continuance is requested to allow more time for defense preparation and possible negotiations for resolution) and Local Code T4, and agree to exclude time from the date of the filing of the order until the date of the status conference, November 4, 2011.
IT IS SO STIPULATED.
JOHN R. MANNING
Attorney for Defendant
Ricardo Venegas
DAVID D. FISCHER
Attorney for Defendant
Vigilio Pineda
CANDACE A. FRY
Attorney for Defendant
Wendell Stewart
EDWARD C. BELL
Attorney for Defendant
Isauro Jauregui Catalan
Benjamin B. Wagner
United States Attorney
JILL M. THOMAS
Assistant U.S. Attorney
JOHN R. MANNING (SBN 220874)
ATTORNEY AT LAW
1111 H Street, # 204
Sacramento, CA. 95814
(916) 444-3994
Fax (916) 447-0931
Attorney for Defendant
RICARDO VENEGAS
UNITED STATES OF AMERICA, Plaintiff,
v.
WENDALL STEWART, et al., Defendants.
No. CR-S-06-0441 GEB
ORDER TO CONTINUE
STATUS CONFERNCE
GOOD CAUSE APPEARING, it is hereby ordered that the September 30, 2011 status conference be continued to November 4, 2011 at 9:00 a.m. I find that the ends of justice warrant an exclusion of time and that the defendant's need for continuity of counsel and reasonable time for effective preparation exceeds the public interest in a trial within 70 days. THEREFORE IT IS FURTHER ORDERED that time be excluded pursuant to 18 U.S.C. § 3161 (h) (7) (B) (iv) and Local Code T4 from the date of this order to November 4, 2011.
IT IS SO ORDERED.
GARLAND E. BURRELL, JR.
United States District Judge