Case 3:07-cr-03022-BEN
Document 5
Filed 11/27/2007
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1 ERICK L. GUZMAN California Bar No. 244391 2 FEDERAL DEFENDERS OF SAN DIEGO, INC. 225 Broadway, Suite 900 3 San Diego, CA 92101-5008 Telephone: (619) 234-8467 4 [email protected] 5 Attorneys for Mr. Escobedo 6 7 8 9 10 UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA (HONORABLE ROGER T. BENITEZ) ) ) ) ) ) ) ) ) ) ) ) Case No. 07CR3022-BEN DATE: December 10, 2007 TIME: 9:00 A.M. NOTICE OF MOTION AND MOTION TO: 1) COMPEL DISCOVERY;
11 UNITED STATES OF AMERICA, 12 13 v. 14 MIGUEL ESCOBEDO-GONZALEZ, 15 16 17 TO: 18 19 Defendant. Plaintiff,
KAREN P. HEWITT, UNITED STATES ATTORNEY; AND CHRISTOPHER OTT, ASSISTANT UNITED STATES ATTORNEY: PLEASE TAKE NOTICE that, on December 10, 2007 at 2:00 p.m., or as soon thereafter as counsel
20 may be heard, defendant, Miguel Escobedo, by and through his attorneys, Erick L. Guzman, and Federal 21 Defenders of San Diego, Inc., will ask this Court to enter an order granting the following motion. 22 23 MOTION Defendant, Miguel Escobedo, by and through his attorneys, Erick L. Guzman, and Federal Defenders
24 of San Diego, Inc., asks this Court, pursuant to the United States Constitution, the Federal Rules of Criminal 25 Procedure, and all other applicable statutes, case law, and local rules, for an order to: 26 27 28 (1) Compel Discovery.
Case 3:07-cr-03022-BEN
Document 5
Filed 11/27/2007
Page 2 of 2
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This motion is based upon the instant motion and notice of motion, the attached statement of facts and
2 memorandum of points and authorities, the files and records in the above-captioned matter, and any and all 3 other materials that may come to this Court's attention prior to or during the hearing of this motion. 4 5 6 DATED: 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 November 27, 2007 /s/ ERICK L. GUZMAN Federal Defenders of San Diego, Inc. Attorneys for Mr. Escobedo-Gonzalez [email protected] Respectfully submitted,
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07CR3022-BEN