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Home Source documents Court filing — E.D. Cal. No. 1:22-cr-00129 (Dkt. 30, E.D. Cal.)

Court filing — E.D. Cal. No. 1:22-cr-00129 (Dkt. 30, E.D. Cal.)

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     Case 1:22-cr-00129-ADA-BAM Document 30 Filed 12/07/22 Page 1 of 3


1    PHILLIP A. TALBERT
     United States Attorney
2    JOSEPH D. BARTON
     Assistant United States Attorney
3    2500 Tulare Street, Suite 4401
     Fresno, CA 93721
4    Telephone: (559) 497-4000
     Facsimile: (559) 497-4099
5
6    Attorneys for Plaintiff
     United States of America
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9                             IN THE UNITED STATES DISTRICT COURT
10                         FOR THE EASTERN DISTRICT OF CALIFORNIA
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12    UNITED STATES OF AMERICA                         Case No. 1:22-cr-00129-DAD-BAM
13                   Plaintiff,                        STIPULATION TO CONTINUE STATUS
                                                       CONFERENCE; ORDER
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            v.
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      APRYL WESTON and MAKIAH MILES,                   DATE: December 14, 2022
16                                                     TIME:  1:00 p.m.
                                                       JUDGE: Hon. Barbara A. McAuliffe
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                     Defendants.
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            IT IS HEREBY STIPULATED by and between the parties through their respective
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     counsel that the Status Conference scheduled for December 14, 2022, at 1:00 p.m., for the above-
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     captioned defendants in this case may be continued until February 22, 2023, at 1:00 p.m., before
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     the Honorable Barbara A. McAuliffe. The government has produced discovery to defense
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     counsel. Defense counsel has further investigation to perform and the need for discovery review,
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     settlement exploration, and trial preparation. The parties agree that time under the Speedy Trial
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     Act shall be excluded through February 22, 2023, in the interests of justice, including but not
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     limited to, the need for effective defense preparation and defense investigation pursuant to 18
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     U.S.C. §§ 3161(h)(7)(A) and 3161(h)(7)(B)(i) and (iv). The parties also agree that the ends of
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     Case 1:22-cr-00129-ADA-BAM Document 30 Filed 12/07/22 Page 2 of 3


1    justice served by taking this action outweigh the best interests of the public and of the defendants
2    to a speedy trial.
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4     Dated: December 7, 2022                           /s/ James Homola
                                                        James Homola
5                                                       Counsel for Makiah Miles
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      Dated: December 7, 2022                           /s/ Erin Snider
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                                                        Erin Snider
8                                                       Counsel for Apryl Weston

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      Dated: December 7, 2022                           /s/ Joseph Barton
10                                                      Joseph Barton
                                                        Assistant United States Attorney
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     Case 1:22-cr-00129-ADA-BAM Document 30 Filed 12/07/22 Page 3 of 3


1    PHILLIP A. TALBERT
     United States Attorney
2    JOSEPH D. BARTON
     Assistant United States Attorney
3    2500 Tulare Street, Suite 4401
     Fresno, CA 93721
4    Telephone: (559) 497-4000
     Facsimile: (559) 497-4099
5
6    Attorneys for Plaintiff
     United States of America
7
8
                              IN THE UNITED STATES DISTRICT COURT
9
                           FOR THE EASTERN DISTRICT OF CALIFORNIA
10
11
      UNITED STATES OF AMERICA                          Case No. 1:22-cr-00129-DAD-BAM
12
                     Plaintiff,                         STIPULATION TO CONTINUE STATUS
13                                                      CONFERENCE; ORDER
14          v.
15    APRYL WESTON and MAKIAH MILES,                    DATE: December 14, 2022
                                                        TIME:  1:00 p.m.
16                                                      JUDGE: Hon. Barbara A. McAuliffe
17                   Defendants.
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19          Upon the Parties’ stipulation and for good cause shown, the Status Conference that is

20   scheduled for December 14, 2022, at 1:00 p.m. for the above-captioned defendants is continued

21   until February 22, 2023, at 1:00 p.m., before the Honorable Barbara A. McAuliffe. The

22   period through February 22, 2023, inclusive, is excluded pursuant to 18 U.S.C. §§ 3161(h)(7)(A)

23   and 3161(h)(7)(B)(i) and (iv).

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     IT IS SO ORDERED.
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26      Dated:     December 7, 2022                          /s/ Barbara A. McAuliffe               _
                                                        UNITED STATES MAGISTRATE JUDGE
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