Case 3:08-cr-00802-JAH
Document 11
Filed 04/14/2008
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Motion to shorten time having been made in the above-entitled matter, the Court being fully advised and good cause appearing therefore, IT IS HEREBY ORDERED that time for hearing the matter for the defendant regarding the Motions as listed in the attached pleadings in the above-entitled action be shortened to seven (7) days, and that the matter be calendared for hearing on April 21, 2008, at 8:30 a.m., or as soon thereafter as counsel may be heard. SO ORDERED. DATED: HONORABLE JOHN A. HOUSTON UNITED STATES DISTRICT JUDGE UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA (HONORABLE JOHN A. HOUSTON) ) ) UNITED STATES OF AMERICA, CASE NO. 08CR0802-JAH ) Plaintiff, ) DATE: ) TIME: ) v. ) JOSE JUAN FERNANDEZ, ) ORDER ) Defendant. ) )
Case 3:08-cr-00802-JAH
Document 11
Filed 04/14/2008
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DAVID M.C. PETERSON California State Bar Number 254498 FEDERAL DEFENDERS OF SAN DIEGO, INC. 225 Broadway, Suite 900 San Diego, California 92101-5008 Telephone: (619) 234-8467 Email: [email protected] Attorneys for Mr. Fernandez
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA (HONORABLE JOHN A. HOUSTON) UNITED STATES OF AMERICA, Plaintiff, v. JOSE JUAN FERNANDEZ, Defendant. ) ) ) ) ) ) ) ) ) ) CASE NO. 08CR0802-JAH DATE: TIME: April 21 8:30 a.m.
MOTION TO SHORTEN TIME
The above-named defendant, by and through counsel, moves this Court for an order shortening time in his Motions as listed in the attached pleadings to seven (7) days, to be heard April 21, at 8:30 a.m., or as soon thereafter as counsel may be heard, for the following reason: Counsel for Mr. Fernandez did not receive discovery until April 1, 2008, and was unable to complete the motions before the date submitted due to the press of business. Respectfully submitted,
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DATED: April 14, 2008 /s/ DAVID M.C. PETERSON DAVID M.C. PETERSON Federal Defenders of San Diego, Inc. Attorneys for Defendant Fernandez
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Case 3:08-cr-00802-JAH
Document 11
Filed 04/14/2008
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CERTIFICATE OF SERVICE Counsel for Defendant certifies that the foregoing is true and accurate to the best information and belief, and that a copy of the foregoing document has been caused to be delivered this day upon: Courtesy Copy to Chambers Copy to Assistant U.S. Attorney via ECF NEF Copy to Defendant Dated: April 14, 2008 /s/ DAVID M. PETERSON Federal Defenders of San Diego, Inc. 225 Broadway, Suite 900 San Diego, CA 92101-5030 (619) 234-8467 (tel) (619) 687-2666 (fax) [email protected] (email)