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United States v. TAC Che

UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA
Sep 14, 2011
CR.S. 10-0168-JAM (E.D. Cal. Sep. 14, 2011)

Opinion

CR.S. 10-0168-JAM

09-14-2011

UNITED STATES OF AMERICA, Plaintiff, v. TAC CHE, et al., Defendants.

DANIEL J. BRODERICK Federal Defender Dennis S. Waks Supervising Assistant Federal Defender Attorney for Defendant JULIA SAECHAO Dennis S. Waks for DONALD MASUDA Attorney for TAC CHE Dennis S. Waks for KENNY GIFFARD Attorney for TAC CHE Dennis S. Waks for RONALD PETERS Attorney for BOB AN Dennis S. Waks for SCOTT CAMERON Attorney for CUONG HOANG Dennis S. Waks for DINA SANTOS Attorney for LIEN TRUONG Dennis S. Waks for DAVID FISCHER Attorney for KENNY LU Dennis S. Waks for GILBERT ROQUE Attorney for VINH HOANG BENJAMIN B. WAGNER United States Attorney Dennis S. Waks for TODD LERAS Assistant U.S. Attorney


DANIEL J. BRODERICK, Bar #89424

Federal Defender

DENNIS S. WAKS, Bar #142581

Supervising Assistant Federal Defender

Attorney for Defendant

JULIA SAECHAO

STIPULATION AND ORDER TO EXTEND TIME FOR STATUS

CONFERENCE AND EXCLUDE TIME

DATE: November 15, 2011

Time: 9:30 a.m.

Judge: John A. Mendez

Defendant JULIA SAECHAO, by and through her counsel, DENNIS S. WAKS, Supervising Assistant Federal Defender, TAC CHE by and through his counsel, DONALD MASUDA and KENNY GIFFARD, BOB AN, by and through his attorney, RONALD PETERS, CUONG HOANG, by and through his attorney, SCOTT CAMERON, LIEN TROUNG, by and through his counsel, DINA SANTOS, KENNY LU, by and through his counsel, DAVID FISCHER, VINH HOANG, by and through his counsel, GILBERT

ROQUE and the United States Government, by and through its counsel, TODD LERAS, Assistant United States Attorney, hereby stipulate that the status conference set for September 20, 2011, be rescheduled for a status conference on Tuesday, November 15, 2011, at 9:30 a.m.

This continuance is being requested because defense counsel needs additional time to review discovery, talk to witnesses and pursue investigation.

Furthermore, the party's have been diligently attempting to reach a negotiated disposition in this case and we believe that the additional time will aid us in that attempt.

Speedy trial time is to be excluded from the date of this order through the date of the status conference set for November 15, 2011, pursuant to 18 U.S.C. § 3161 (h)(7)(B)(iv), [reasonable time to prepare] (Local Code T4).

The Court finds that the ends of justice to be served by granting a continuance outweigh the best interest of the public and the defendants in a speedy trial.

Respectfully Submitted,

DANIEL J. BRODERICK

Federal Defender

Dennis S. Waks

Supervising Assistant

Federal Defender

Attorney for Defendant

JULIA SAECHAO

Dennis S. Waks for

DONALD MASUDA

Attorney for TAC CHE

Dennis S. Waks for

KENNY GIFFARD

Attorney for TAC CHE

Dennis S. Waks for

RONALD PETERS

Attorney for BOB AN

Dennis S. Waks for

SCOTT CAMERON

Attorney for CUONG HOANG

Dennis S. Waks for

DINA SANTOS

Attorney for LIEN TRUONG

Dennis S. Waks for

DAVID FISCHER

Attorney for KENNY LU

Dennis S. Waks for

GILBERT ROQUE

Attorney for VINH HOANG

BENJAMIN B. WAGNER

United States Attorney

SO ORDERED.

Dennis S. Waks for

TODD LERAS

Assistant U.S. Attorney

JOHN A. MENDEZ

United States District Court


Summaries of

United States v. TAC Che

UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA
Sep 14, 2011
CR.S. 10-0168-JAM (E.D. Cal. Sep. 14, 2011)
Case details for

United States v. TAC Che

Case Details

Full title:UNITED STATES OF AMERICA, Plaintiff, v. TAC CHE, et al., Defendants.

Court:UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA

Date published: Sep 14, 2011

Citations

CR.S. 10-0168-JAM (E.D. Cal. Sep. 14, 2011)