U.S.
v.
Torres

United States District Court, E.D. CaliforniaMar 3, 2006
No. 1:05-cr-0059 AWI. (E.D. Cal. Mar. 3, 2006)

No. 1:05-cr-0059 AWI.

March 3, 2006

DANIEL J. BRODERICK, Acting Federal Defender ERIC V. KERSTEN, Assistant Federal Defender Designated Counsel for Service Fresno, California. Attorney for Defendant GILBERT TORRES

McGREGOR W. SCOTT United States Attorney By /s/ David L. Gappa

DAVID L. GAPPA Assistant United States Attorney Attorney for Plaintiff

ERIC V. KERSTEN Assistant Federal Defender Attorney for Defendant Gilbert Torres

SAWL NETZER ERIC H. SCHWEITZER Attorney for Defendant Armando Garza


STIPULATION TO CONTINUE STATUS CONFERENCE HEARING AND ORDER THEREON


IT IS HEREBY STIPULATED by and between the parties hereto through their respective counsel, DAVID L. GAPPA, Assistant United States Attorney, counsel for Plaintiff, ERIC V. KERSTEN, Assistant Federal Defender, counsel for Defendant Gilbert Torres, and ERIC H. SCHWEITZER, counsel for Defendant Armando Torres that the date for status conference in this matter may be continued to March 27, 2006. The date currently set for status conference is March 6, 2006. The requested new date is March 27, 2006.

The reason for the requested continuance is to allow additional time for defense investigation and plea negotiations in an effort to reach a negotiated settlement of this matter.

The parties agree that the delay resulting from the continuance shall be excluded as necessary for effective defense preparation pursuant to 18 U.S.C. § 3161(h)(8)(B)(iv).

ORDER

IT IS SO ORDERED. The intervening period of delay is excluded in the interests of justice pursuant to 18 U.S.C. §§ 3161(h)(8)(B)(iv).

IT IS SO ORDERED.