Case 2:22-cr-00001-GMN-DJA Document 61 Filed 10/08/24 Page 1 of 3
1 RENE L. VALLADARES
Federal Public Defender
2 State Bar No. 11479
KEISHA K. MATTHEWS
3 Assistant Federal Public Defender
411 E. Bonneville, Ste. 250
4 Las Vegas, Nevada 89101
(702) 388-6577/Phone
5 (702) 388-6261/Fax
Keisha_Matthews@fd.org
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7 Attorney for Jeremy Lee Attebery
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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11 UNITED STATES OF AMERICA, Case No. 2:22-cr-00001-GMN-DJA
12 Plaintiff, STIPULATION TO CONTINUE
REVOCATION HEARING
13 v.
(Second Request)
14 JEREMY LEE ATTEBERY,
15 Defendant.
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17 IT IS HEREBY STIPULATED AND AGREED, by and between Jason M. Frierson,
18 United States Attorney, and Jessica Oliva, Assistant United States Attorney, counsel for the
19 United States of America, and Rene L. Valladares, Federal Public Defender, and
20 Keisha K. Matthews, Assistant Federal Public Defender, counsel for Jeremy Lee Attebery, that
21 the Revocation Hearing currently scheduled on October 22, 2024, be vacated and continued to
22 a date and time convenient to the Court, but no sooner than sixty (60) days.
23 This Stipulation is entered into for the following reasons:
24 1. Defense counsel needs additional time to investigate the allegations in the
25 petition and to engage in negotiations with the government and probation for a possible non-
26 hearing resolution.
Case 2:22-cr-00001-GMN-DJA Document 61 Filed 10/08/24 Page 2 of 3
1 2. The defendant is in custody and agrees with the need for the continuance.
2 3. The parties agree to the continuance.
3 4. Additionally, denial of this request for continuance could result in a miscarriage
4 of justice.
5 5. The additional time requested herein is not sought for purposes of delay, but to
6 allow parties to negotiate and prepare for the hearing.
7 This is the second request for a continuance of the revocation hearing.
8 DATED this 7th day of October 2024.
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10 RENE L. VALLADARES JASON M. FRIERSON
Federal Public Defender United States Attorney
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12 /s/ Keisha K. Matthews /s/ Jessica Oliva
By_____________________________ By_____________________________
13 KEISHA K. MATTHEWS JESSICA OLIVA
Assistant Federal Public Defender Assistant United States Attorney
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