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Home Court filings USA v. Thomas et al — Carla Jackson judgment, N.D. Ga. Unopposed MOTION to Continue Pretrial Scheduling Conference by Carla Jackson — USA v. T…

Court filing

Unopposed MOTION to Continue Pretrial Scheduling Conference by Carla Jackson — USA v. Thomas et al (Dkt. 77)

Record facts

CourtU.S. District Court for the Northern District of Georgia
Filed2020-12-11

U.S. District Court for the Northern District of Georgia · No. 1:20-cr-00296-JPB-CMS · Doc. 77 · 2020-12-11 · Docket on CourtListener

Summary

A motion by defendant Carla Jackson to continue the pretrial scheduling conference in United States v. Thomas et al., No. 1:20-cr-00296-JPB-CMS, in the U.S. District Court for the Northern District of Georgia, filed December 11, 2020 as Document 77. The motion states that the conference was set for December 22, 2020 and that counsel has moved at the same time to extend the pretrial motions deadline from December 14, 2020 to January 13, 2021, an extension the motion says the government does not oppose. It asks the court to reset the conference to a date after January 13, 2021 and to exclude the time under the Speedy Trial Act, citing 18 U.S.C. § 3161(h)(8). The three-page filing is signed by defense counsel David D. Marshall and includes a certificate of service.

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Full text

IN THE UNITED STATES DISTRICT COURT 
FOR THE NORTHERN DISTRICT OF GEORGIA 
ATLANTA DIVISION 
 
UNITED STATES                               ) 
 
 
                                                             )   
 
             v.                                             )         
                                                              )     
INDICTMENT NO. 
 
CARLA JACKSON, 
 
 
)     
1:20-CR-00296-JPB-AJB-05 
 
 
 
Defendant  
) 
 
______________________________ ) 
 
 
 
DEFENDANT’S MOTION TO CONTINUE  
PRETRIAL SCHEDULING CONFERENCE 
 
 
COMES NOW Defendant CARLA JACKSON, by and through 
undersigned counsel, and hereby files this his “Defendant’s Motion To 
Continue Pretrial Scheduling Conference” (hereafter “Motion”) and in 
support thereof states as follows:  
1. 
 
The pretrial scheduling conference for Defendant is presently 
scheduled for December 22, 2020. 
2. 
 
On this date, undersigned counsel has contemporaneously moved for 
an extension of time to file pretrial motions from December 14, 2020 to 
January 13, 2021. AUSA Nathan Kitchens does not oppose the requested 
extension for filing pretrial motions. 
 
Case 1:20-cr-00296-JPB-CMS     Document 77     Filed 12/11/20     Page 1 of 3

 
2
3. 
 
Undersigned counsel hereby moves the Court to continue her pretrial 
scheduling conference to a date after January 13, 2021 that the Court deems 
proper, to accommodate the proposed change of date for filing pretrial 
motions.  
 
WHEREFORE, Defendant respectfully requests a continuance of the 
pretrial conference to a date after January 13, 2021 that this Court deems 
proper. The Defendant also requests that this time be excluded under the 
Speedy Trial Act, pursuant to 18 U.S.C. § 3161(h)(8). 
 
This 11th day of December, 2020. 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
/s/  David D. Marshall 
      
 
 
 
 
 
 
 
David D. Marshall 
 
 
 
 
 
 
 
Attorney for Defendant 
 
 
 
 
 
 
 
Georgia Bar No. 471517 
2550 Sandy Plains Road 
Suite 225 
Marietta, Georgia 30066 
(404) 213-1358 (phone) 
(678) 868-2241 (fax) 
ddmarshall98@gmail.com 
 
 
 
 
Case 1:20-cr-00296-JPB-CMS     Document 77     Filed 12/11/20     Page 2 of 3

 
3
IN THE UNITED STATES DISTRICT COURT 
FOR THE NORTHERN DISTRICT OF GEORGIA 
ATLANTA DIVISION 
 
UNITED STATES                               ) 
 
 
                                                             )   
 
             v.                                             )         
                                                              )     
INDICTMENT NO. 
 
CARLA JACKSON, 
 
 
)     
1:20-CR-00296-JPB-AJB-05 
 
 
 
Defendant  
) 
 
______________________________ ) 
 
CERTIFICATE OF SERVICE 
 
 
This is to certify that the foregoing was formatted in 14-point Times 
Roman, in accordance with Local Rule 5.1C, and was electronically filed 
this day with the Clerk of Court using the CM/ECF system, which will 
automatically send email notification of such filing to the following: 
All defense counsel; All AUSA’s of record 
 
This 11th day of December, 2020. 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
/s/  David D. Marshall 
      
 
 
 
 
 
 
 
David D. Marshall 
 
 
 
 
 
 
 
Attorney for Defendant 
 
 
 
 
 
 
 
Georgia Bar No. 471517 
2550 Sandy Plains Road 
Suite 225 
Marietta, Georgia 30066 
(404) 213-1358 (phone) 
(678) 868-2241 (fax) 
ddmarshall98@gmail.com 
 
Case 1:20-cr-00296-JPB-CMS     Document 77     Filed 12/11/20     Page 3 of 3

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