Opinion
2:22-cr-00129-GMN-DJA
01-27-2023
RENE L. VALLADARES Federal Public Defender MARGARET W. LAMBROSE Assistant Federal Public Defender JASON M. FRIERSON United States Attorney BIANCA R. PUCCI Assistant United States Attorney
RENE L. VALLADARES Federal Public Defender MARGARET W. LAMBROSE Assistant Federal Public Defender
JASON M. FRIERSON United States Attorney BIANCA R. PUCCI Assistant United States Attorney
STIPULATION FOR EXTENSION OF TIME TO FILE DEFENDANT'S REPLY (SECOND REQUEST)
IT IS HEREBY STIPULATED AND AGREED, by and between Jason M. Frierson, United States Attorney, and Bianca R. Pucci, Assistant United States Attorney, counsel for the United States of America, and Rene L. Valladares, Federal Public Defender, and Margaret W. Lambrose, Assistant Federal Public Defender, counsel for Christian DeMarco Thomas, that the defendant's reply to the Government's response to the Motion to Suppress currently due on January 31, 2023, be vacated and reset to February 3, 2023.
The Stipulation is entered into for the following reasons:
1. Counsel for the defendant requires additional time to file the reply.
2. The defendant is incarcerated and does not object to the continuance.
3. The parties agree to the continuance.This is the second stipulation to continue filed herein.
ORDER
Based on the stipulation and good cause appearing, IT IS THEREFORE ORDERED that the defendant's reply currently due on Tuesday, January 31, 2023, be continued to Friday, February 3, 2023.