Case 2:25-cr-00038-DJC Document 34 Filed 09/03/25 Page 1 of 3
1 HEATHER E. WILLIAMS, #122664
Federal Defender
2 DOUGLAS BEEVERS, #288639
Assistant Federal Defender
3 801 I Street, 3rd Floor
Sacramento, CA 95814
4 Tel: (916) 498-5700
Fax: (916) 498-5710
5 Douglas_Beevers@fd.org
6 Attorney for Defendant
AKASH SINGH
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IN THE UNITED STATES DISTRICT COURT
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FOR THE EASTERN DISTRICT OF CALIFORNIA
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10 UNITED STATES OF AMERICA, ) Case No. 2:25-CR-0038-DJC
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11 Plaintiff, ) STIPULATION AND ORDER TO CONTINUE
) STATUS CONFERENCE AND EXCLUDE
12 vs. ) TIME
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13 AKASH SINGH, ) Date: May 22, 2025
) Time: 9:00 a.m.
14 Defendant. ) Judge: Daniel J. Calabretta
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16 IT IS HEREBY STIPULATED and agreed by and between Eric Grant, United States
17 Attorney, through Assistant United States Samuel Stefanki, counsel for Plaintiff, and Federal
18 Defender Heather Williams, through Assistant Federal Defender Assistant Federal Defender
19 Douglas Beevers, attorney for Akash Singh, that the status conference, currently scheduled for
20 September 11, 2025, be continued one week to September 18, 2025 at 9:00 a.m.
21 Defense counsel requests the additional time to tend to a family medical appointment.
22 Counsel for the government has no objection to the continuance.
23 Based upon the foregoing, the parties agree time under the Speedy Trial Act should be
excluded of this order’s date through and including September 18, 2025; pursuant to 18 U.S.C.
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§3161 (h)(7)(A)and (B)(iv)[reasonable time to prepare] and General Order 479, Local Code T4
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based upon continuity of counsel and defense preparation.
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Counsel and the defendant also agree that the ends of justice served by the Court granting
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this continuance outweigh the best interests of the public and the defendant in a speedy trial.
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Case 2:25-cr-00038-DJC Document 34 Filed 09/03/25 Page 2 of 3
1 Respectfully submitted,
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Dated: September 2, 2025
3 HEATHER E. WILLIAMS
Federal Defender
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5 /s/ Douglas Beevers
DOUGLAS BEEVERS
6 Assistant Federal Defender
Attorney for Defendant
7 AKASH SINGH
8 Dated: September 2, 2025
ERIC GRANT
9 United States Attorney
10 /s/ Samuel Stefanki
SAMUEL STEFANKI
11 Assistant U.S. Attorney
Attorney for Plaintiff
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Case 2:25-cr-00038-DJC Document 34 Filed 09/03/25 Page 3 of 3
1 ORDER
2 IT IS HEREBY ORDERED, the Court, having received, read, and considered the parties’
3 stipulation, and good cause appearing therefrom, adopts the parties’ stipulation in its entirety as
4 its order.
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6 Dated: September 2, 2025 /s/ Daniel J. Calabretta
THE HONORABLE DANIEL J. CALABRETTA
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UNITED STATES DISTRICT JUDGE
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