Court filing
Indictment — United States v. Maurice Fayne (Dkt. 180, N.D. Ga. No. 1:20-cr-00228)
Filed April 11, 2021 in United States v. Maurice Fayne related docket; one of 163 filings from this case.
Record facts
| Court | U.S. District Court for the Northern District of Georgia |
|---|---|
| Filed | 2021-04-11 |
Full text
IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION UNITED STATES OF AMERICA ) ) v. ) CASE NOS.: ) MARK SARGENT and ) 1:20-cr-228-MHC-JKL-4 MICHAEL SARGENT, ) 1:20-cr-228-MHC-JKL-3 ) Defendants. ) ____________________________________) SECOND UNOPPOSED MOTION TO CONTINUE PRETRIAL CONFERENCE MARK SARGENT and MICHAEL SARGENT, by and through undersigned counsels, hereby file this Second Unopposed Motion to Continue Pretrial Conference. In support hereof, Defendants state as follows: 1. On November 19, 2020, a grand jury sitting in the Northern District of Georgia returned a superseding indictment charging both Defendants with one count each of conspiracy to commit wire fraud in violation of 18 U.S.C. § 1349 and three counts each of wire fraud in violation of 18 U.S.C. § 1343. (Doc. 96). 2. Defendants pleaded not guilty to the charges on January 27, 2021. (Docs. 146 and 147). 3. On January 29, 2021, the Court entered a pretrial scheduling order and set the pretrial conference for February 11, 2021. (Doc. 149). 2 4. On February 2, 2021, undersigned counsels filed a motion to continue the pretrial conference. (Doc. 150). This Court granted the motion and continued the pretrial conference to April 13, 2021 and set a deadline for the filing pretrial of motions on April 12, 2021. (Doc. 151). 5. Undersigned counsels received the discovery in the case which is comprised of over 300 GB of data. Undersigned counsels request the Court continue the pretrial conference for at least thirty days to allow Defendants (who reside in Dallas, Texas) the opportunity to thoroughly review the discovery with counsels and consider pretrial motions. In addition, Mark Sargent has substantial health issues that he is documenting for the Government and the Court. The ends of justice served by taking such action outweigh the best interest of the public and the defendant in a speedy trial and failure to grant a continuance would deny counsel for Defendants the reasonable time necessary for effective preparation, taking into account the exercise of due diligence. Moreover, undersigned counsels requests that the Clerk be directed to exclude the additional time pursuant to 18 U.S.C. §§ 3161(h)(7)(A) and (B)(iv). 6. The Government does not object to this Court’s granting this motion. 3 WHEREFORE MARK SARGENT and MICHAEL SARGENT request that this motion be granted and the pretrial conference be continued for thirty days. Respectfully submitted this 11th day of April, 2021. /s/ Mark A. Campbell Mark A. Campbell 3300 Hamilton Mill Road Suite 102-124 Buford, Georgia 30519 (404) 345-2593 mcampbell.atty@gmail.com Georgia Bar No. 384028 /s/ Steve Jumes Steven Todd Jumes The Law Office of Steven Jumes, PLLC 5740 Boat Club Road Fort Worth, Texas 76179 (817) 756-6000 steve@jumeslaw.com 4 IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION UNITED STATES OF AMERICA ) ) v. ) CASE NOS.: ) MARK SARGENT and ) 1:20-cr-228-MHC-JKL-4 MICHAEL SARGENT, ) 1:20-cr-228-MHC-JKL-3 ) Defendants. ) ____________________________________) CERTIFICATE OF SERVICE I HEREBY CERTIFY that a copy of the foregoing was formatted in 14-point Times New Roman font in compliance with Local Rule 5.1B 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 all parties of record. Respectfully submitted this 11th day of April, 2021. /s/ Mark A. Campbell Mark A. Campbell /s/ Steve Jumes Steve Jumes
File and source
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- gov.uscourts.gand.278523.180.0.pdf
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- 61,202 bytes
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- 9c87de46dffd14412c807e3bda755c6675e5d9452982e7f96833897a9b61b406
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