The opinion of the court was delivered by: Hon. Garland E. Burrell, Jr.
Time: 9:00 am Date: December 10, 2010
STIPULATION AND PROPOSED ORDER FOR CONTINUANCE OF STATUS CONFERENCE
It is hereby stipulated and agreed to between the United States of America through PHILIP A. FERRARI, Assistant United States Attorney, and defendants, MITCHELL WRIGHT, HAIYING FAN, and GARY GEORGE, by and through their respective counsel, that the status conference in the above-captioned matter set for December 10, 2010, be continued to January 28, 2011, at 9:00 a.m.
The parties further stipulate that the time period from December 10, 2010, up to and including the new status conference date of January 28, 2011, should be excluded from computation of the time for the commencement of trial under the Speedy Trial Act. The parties stipulate that the ends of justice are served by the Court excluding such time, so that each defense counsel may have reasonable time necessary for effective preparation, taking into account the exercise of due diligence. 18 U.S.C. §3161(h)(7)(B)(iv). Specifically, each defendant agrees that his or her counsel needs additional time to continue 2 discussions with the government regarding potential resolution of the case, review 3 produced discovery in the case, conduct further investigation and effectively evaluate the 4 posture of the case and potentially prepare for trial. See id. Additionally, the parties 5 continue to stipulate that the above-captioned case is unusual and complex such that it is 6 unreasonable to expect adequate prepartation for pretrial proceedings or for a potential trial 7 within the limits established by the Speedy Trial Act. 8 For these reasons, the defendants, defense counsel and the government stipulate 2 and agree that the interests of justice served by granting this continuance outweigh the best 3 interests of the public and the defendants in a speedy trial. See 18 U.S.C. 4 §3161(h)(7)(B)(iv) [Local Code T4]; 18 U.S.C. §3161(h)(7)(B)(ii) [Local Code T2]. 5 6
Respectfully Submitted 7 Dated: December 8, 2010 8
CHRISTOPHER H. WING Counsel for Haiying Fan Dated: December 8, 2010 Benjamin B. Wagner United States Attorney
By: /s/ Philip A. Ferrari Philip A. Ferarri Assistant U.S. Attorney Dated: December 8, 2010
/s/ Scott A. Sugarman SCOTT A. SUGARMAN Counsel for Mitchell B. Wright Dated: October 27, 2010
MICHAEL B. BIGELOW Counsel for Gary George
GARLAND E. BURRELL, JR. United States District Judge
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