Court filing
STIPULATION and PROPOSED ORDER for extension of self-surrender date to March 6, 2023 — USA v. Ashcraft (Dkt. 25)
Record facts
| Court | U.S. District Court for the Eastern District of California |
|---|---|
| Filed | 2023-01-23 |
U.S. District Court for the Eastern District of California · No. 2:22-cr-00087-KJM · Doc. 25 · 2023-01-23 · Docket on CourtListener
Summary
A stipulation and proposed order to extend a self-surrender date, filed January 23, 2023 in United States of America v. Aaron Ashcraft, No. 2:22-cr-00087-KJM, in the U.S. District Court for the Eastern District of California, as Document 25. Assistant Federal Defender Rachelle Barbour for the defendant and Assistant U.S. Attorney Matthew Thuesen for the government jointly ask that the self-surrender date of February 6, 2023 be continued to March 6, 2023, by 2:00 p.m. The stipulation states that the defendant has not yet been designated to a facility by the BOP. The proposed order for Chief United States District Judge Kimberly J. Mueller continues the date as requested and directs service on the U.S. Marshals. The filing is two pages and the order's signature line is unsigned.
Summary drafted by a model from the document's text below and checked by script against that text before publication. It is a navigation aid, not a reading of what the document proves. Where AI is used
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Stipulation re: Self-Surrender - ASHCRAFT
HEATHER E. WILLIAMS, #122664
Federal Defender
RACHELLE BARBOUR, #185395
Assistant Federal Defender
OFFICE OF THE FEDERAL DEFENDER
801 I Street, 3rd Floor
Sacramento, CA 95814
Tel: 916-498-5700/Fax: 916-498-5710
Attorney for Defendant
AARON ASHCRAFT
IN THE UNITED STATES DISTRICT COURT
FOR THE EASTERN DISTRICT OF CALIFORNIA
UNITED STATES OF AMERICA,
Plaintiff,
vs.
AARON ASHCRAFT,
Defendant.
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Case No: 2:22-CR-0087-KJM
STIPULATION AND [proposed] ORDER TO
EXTEND SELF-SURRENDER DATE
Chief Judge Kimberly J. Mueller
IT IS HEREBY STIPULATED and requested by and between the parties through their
respective counsel, MATTHEW THUESEN, Assistant United States Attorney, attorney for the
GOVERNMENT, and RACHELLE BARBOUR, attorney for Defendant, AARON ASHCRAFT,
Defendant, that the self-surrender date set for Monday, February 6, 2023, be continued to
Monday, March 6, 2023, by 2:00 p.m. Mr. Ashcraft has not yet been designated to a facility by
the BOP.
DATED: January 23, 2023
HEATHER E. WILLIAMS
Federal Defender
/s/ Rachelle Barbour
RACHELLE BARBOUR
Attorney for Defendant
AARON ASHCRAFT
Case 2:22-cr-00087-KJM Document 25 Filed 01/23/23 Page 1 of 2
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Stipulation re: Self-Surrender - ASHCRAFT
DATED: January 23, 2023
PHILLIP A. TALBERT
United States Attorney
/s/ Matthew Thuesen
MATTHEW THUESEN
Assistant U.S. Attorney
Attorney for the United States
O R D E R
The Court, having received, read, and considered the stipulation of the parties, and good
cause appearing therefrom, continues Mr. Ashcraft’s self-surrender date to March 6, 2023, by
2:00 p.m. A copy of this Order shall be served on the U.S. Marshals.
DATED: January __, 2022
______________________
HON. KIMBERLY J. MUELLER
Chief United States District Judge
Case 2:22-cr-00087-KJM Document 25 Filed 01/23/23 Page 2 of 2File and source
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