Court filing
Unopposed MOTION for Extension of Time To File Pretrial Motions by Carla Jackson — USA v. Thomas et al (Dkt. 107)
Record facts
| Court | U.S. District Court for the Northern District of Georgia |
|---|---|
| Filed | 2021-03-26 |
U.S. District Court for the Northern District of Georgia · No. 1:20-cr-00296-JPB-CMS · Doc. 107 · 2021-03-26 · Docket on CourtListener
Summary
An unopposed motion for extension of time to file pretrial motions, filed March 26, 2021 by defendant Carla Jackson in USA v. Thomas et al, No. 1:20-cr-00296-JPB-CMS, in the U.S. District Court for the Northern District of Georgia. The motion asks for a 14-day extension through April 12, 2021; it states pretrial motions were due by March 29, 2021, with the pretrial conference set for April 1, 2021. Defense counsel states he needs more time to review the government's initial and supplemental discovery and to discuss it with the defendant. The motion reports that AUSA Tal Chaiken indicated the government has no objection and asks that the extension be excluded under the Speedy Trial Act, 18 U.S.C. § 3161(h)(7). It is Doc. 107, three pages, signed by David D. Marshall as attorney for the defendant.
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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
)
______________________________ )
UNOPPOSED MOTION FOR EXTENSION OF
TIME TO FILE PRETRIAL MOTIONS
Defendant CARLA JACKSON, through his counsel, respectfully
requests a 14-day time extension through April 12, 2021 in which to file
pretrial motions in this case. In support, Defendant states the following:
1.
Ms. Jackson is named in the above referenced indictment charging her
with money laundering violations under 21 U.S.C. § 1956. Ms. Jackson’s
pretrial conference is scheduled for April 1, 2021 with pretrial motions
presently due by March 29, 2021.
2.
The Government has mailed its initial discovery out to undersigned
counsel, which counsel has been reviewing and discussing with Defendant.
The Government also has mailed out supplemental discovery, which counsel
still needs some additional time to review. Counsel would appreciate
Case 1:20-cr-00296-JPB-CMS Document 107 Filed 03/26/21 Page 1 of 3
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additional time from the Court to review the original and supplemental
discovery, and to discuss these materials with Defendant. Counsel will also
need to determine if any pretrial motions should be filed.
3.
Because of the above, Defendant requests an extension through
April 12, 2021 in which to file any pretrial motions, a 14-day extension
from the current deadline.
4.
Undersigned counsel has discussed Defendant’s time extension
request with AUSA Tal Chaiken and Ms. Chaiken has indicated that the
Government has no objection.
5.
Defendant further requests that the time extension in which to file
pretrial motions be excluded under the Speedy Trial Act, pursuant to 18
U.S.C. § 3161(h)(7).
Respectfully submitted this 26th day of March, 2021.
/s/ David D. Marshall
David D. Marshall
Attorney for Defendant
Georgia Bar No. 471517
2550 Sandy Plains Road
Suite 225 PMB 349
Case 1:20-cr-00296-JPB-CMS Document 107 Filed 03/26/21 Page 2 of 3
3
Marietta, Georgia 30066
(404) 213-1358 (phone)
(678) 868-2241 (fax)
ddmarshall98@gmail.com
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 26th day of March, 2021.
/s/ David D. Marshall
David D. Marshall
Attorney for Defendant
Georgia Bar No. 471517
2550 Sandy Plains Road
Suite 225 PMB 349
Marietta, Georgia 30066
(404) 213-1358 (phone)
(678) 868-2241 (fax)
ddmarshall98@gmail.com
Case 1:20-cr-00296-JPB-CMS Document 107 Filed 03/26/21 Page 3 of 3File and source
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