Opinion
CR NO. S-11-226 GEB
09-06-2011
Benjamin Wagner United States Attorney MICHAEL M. BECKWITH Assistant U.S. Attorney Attorney for the United States John R. Manning Attorney at Law JOHN R. MANNING Attorney at Law Attorney for Defendant Jordan Wirtz
John R. Manning
Attorney at Law
Ca. St. Bar No. 220874
Attorney for Defendant
JORDAN WIRTZ
STIPULATION AND [PROPOSED] ORDER TO EXTEND TIME TO POST PROPERTY BOND
Judge: Hon. Dale A. Drozd
On May 24, 2011, the Honorable Kendall J. Newman ordered defendant Wirtz released on a $100,000.00 unsecured bond, co-signed by Mr. Martin, to be replaced by a secured bond, secured by the real property owned by Mr. Martin, within three weeks. On June 13, 2011, the Honorable Kendall J. Newman ordered defendant Jordan Wirtz released on a $100,000 Unsecured Bond, co-signed by Mr. and Mrs. Devitt (the defendant's aunt and uncle), to be replaced with the posting of property by Mr. and Mrs. Devitt by July 5, 2011.
On, or about, July 5, 2011, the Court, at the request of the Mr. Wirtz (and with the agreement of the Government) agreed to continue the due date for the bond paperwork to July 19, 2011.
The bond paper work was submitted to the Government for review. Ultimately, the Government reviewed the documents and requested the Defense make minor changes to the documents before they are filed. The Defense was informed of the Government's request on August 29, 2011. The changes, though minor, will require the documents to be re-drafted and notarized again.
Accordingly the parties agree that the deadline for posting the property bond may be extended to September 30, 2011. This office has contacted Michael Beckwith of the U.S. Attorney's Office, and the Pretrial Service Officer Becky Fidelman, and they have no objection to this request.
Respectfully submitted,
Benjamin Wagner
United States Attorney
MICHAEL M. BECKWITH
Assistant U.S. Attorney
Attorney for the United States
John R. Manning
Attorney at Law
JOHN R. MANNING
Attorney at Law
Attorney for Defendant
Jordan Wirtz
John R. Manning
Attorney at Law
Ca. St. Bar No. 220874
1111 H Street, Suite 204
Sacramento, CA 95814
Telephone: (916) 444-3994
jmanninglaw@yahoo.com
Attorney for Defendant
JORDAN WIRTZ
UNITED STATES OF AMERICA, Plaintiff,
v.
JORDAN WIRTZ, Defendant.
CR NO. S-11-0226 GEB
ORDER EXTENDING TIME TO POST PROPERTY BOND
Judge: Hon. Dale A. Drozd
For good cause appearing, the due date for posting of a secured property bond in this matter shall be continued to September 30, 2011
IT IS SO ORDERED.
Hon. Dale A. Drozd
US Magistrate Judge