Free Motion to Suppress - District Court of California - California


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Date: February 11, 2008
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State: California
Category: District Court of California
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Case 3:07-cr-03208-BEN

Document 13

Filed 02/11/2008

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GERALD T. McFADDEN (SBN 87446) Attorney at Law 2366 Front Street San Diego, CA 92101 (619) 338-0507 E-mail: [email protected] Attorney for Defendant RAUL ARREOLA-MONTES

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA (HON. ROGER T. BENITEZ) UNITED STATES OF AMERICA, ) ) Plaintiff, ) ) v. ) ) RAUL ARREOLA-MONTES, ) ) Defendant. ) ______________________________) TO: Crim. Case No. 07CR3208-BEN NOTICE OF MOTIONS AND MOTIONS TO SUPPRESS PHYSICAL EVIDENCE AND STATEMENTS, AND FOR LEAVE TO FILE FURTHER PRETRIAL MOTIONS AND FURTHER HEARING DATE NCD: February 25, 2008 at 2:00 p.m.

KAREN P. HEWITT, UNITED STATES ATTORNEY, NICOLE ACTON JONES, ASSISTANT UNITED STATES ATTORNEY PLEASE TAKE NOTICE that on Monday, February 25, 2008, at 2:00 p.m., or as soon

thereafter as counsel may be heard, the defendant, RAUL ARREOLA-MONTES, through his appointed counsel, Gerald T. McFadden, will bring the following motions. MOTIONS The defendant, RAUL ARREOLA-MONTES, by and through his appointed counsel, Gerald T. McFadden, and pursuant to the provisions of Rules 12 and 16 of the Federal Rules of Criminal Procedure and the Fourth, Fifth and Sixth Amendments to the United States' Constitution, hereby moves this Court: to suppress physical evidence and statements and, for leave to file further pretrial motions and a further hearing date. These motions are based upon the instant motions and notice of motions, the attached

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Case 3:07-cr-03208-BEN

Document 13

Filed 02/11/2008

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statement of facts and points and authorities in support of these motions, and any and all matters that may come to the Court's attention prior to or at the time of the hearing of these motions. Respectfully submitted,

Dated: February 11, 2008

s/Gerald T. McFadden GERALD T. McFADDEN, Attorney for Defendant RAUL ARREOLA-MONTES E-mail: [email protected]

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