Case 2:25-cr-00038-DJC Document 32 Filed 08/22/25 Page 1 of 3
1 HEATHER E. WILLIAMS, #122664
Federal Defender
2 DOUGLAS J. BEEVERS, # 288639
Assistant Federal Defender
3 801 I Street, 3rd Floor
Sacramento, CA 95814
4 Telephone: (916) 498-5700
5 Attorney for Defendant
AKASH SINGH
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7 IN THE UNITED STATES DISTRICT COURT
8 FOR THE EASTERN DISTRICT OF CALIFORNIA
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UNITED STATES OF AMERICA, ) Case No. 2:25-cr-00038-DJC-1
10 )
Plaintiff, ) STIPULATION AND ORDER TO CONTINUE
11 ) STATUS CONFERENCE
v. )
12 ) Judge: Hon. Daniel J. Calabretta
AKASH SINGH, )
13 )
Defendants. )
14 )
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IT IS HEREBY STIPULATED by and between Eric Grant, United States Attorney,
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through Samuel Stefanki, Assistant United States Attorney, attorney for Plaintiff, Heather
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Williams, Federal Defender, through Assistant Federal Defender Douglas J. Beevers, attorneys
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for AKASH SINGH, that the status conference scheduled for August 28, 2025, at 9:00 a.m., be
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vacated and the matter continued to September 11, 2025, at 9:00 a.m.
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Defense counsel requests the additional time to review evidence related to the forfeiture
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of the residence which is addressed in the proposed plea agreement. The government has no
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objection to the requested continuance.
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For the purpose of computing time under 18 U.S.C. § 3161 et seq. (Speedy Trial Act), the
24 parties request that the time period between August 28, 2025 and September 11, 2025, inclusive,
25 be deemed excludable pursuant to 18 U.S.C. § 3161(h)(7)(B)(iv) (Local Code T4), because it
26 would result from a continuance granted by the Court at the defense’s request, based on a finding
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Stipulation and Order -1-
Case 2:25-cr-00038-DJC Document 32 Filed 08/22/25 Page 2 of 3
1 that the ends of justice served by granting the continuance outweighs the best interest of the
2 public and Mr. Singh in a speedy trial.
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DATED: August 21, 2025
4 Respectfully submitted,
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HEATHER E. WILLIAMS
6 Federal Defender
7 /s/ Douglas J. Beevers
DOUGLAS J. BEEVERS
8 Assistant Federal Defender
9 Attorney for AKASH SINGH
10 DATED: August 21, 2025 ERIC GRANT
United States Attorney
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/s/ Samuel Stefanki
12 SAMUEL STEFANKI
Assistant United States Attorney
13 Attorney for Plaintiff
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Stipulation and Order -2-
Case 2:25-cr-00038-DJC Document 32 Filed 08/22/25 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 its
4 order.
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6 Dated: August 21, 2025 /s/ Daniel J. Calabretta
THE HONORABLE DANIEL J. CALABRETTA
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UNITED STATES DISTRICT JUDGE
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Stipulation and Order -3-