1 JON M. SANDS Federal Public Defender 2 District of Arizona 3 850 W. Adams Street, Suite 201 Phoenix, Arizona 85007 4 Telephone: (602) 382-2755 5 DOUGLAS A. PASSON, # 017423 [email protected] 6 Asst. Federal Public Defender Attorney for Defendant 7 IN THE UNITED STATES DISTRICT COURT 8 9 10 11 12 13 14 15 16 17 18 19 vs. Jason San Diego, Defendant. The Federal Public Defender's Office, on behalf of defendant Jason San Diego, hereby moves for substitution of counsel, and requests that Douglas A. Passon, Assistant Federal Public Defender at the Phoenix, Arizona, office be United States of America, Plaintiff, DISTRICT OF ARIZONA CR-02-958-PHX-SRB NOTICE OF SUBSTITUTION OF COUNSEL
20 substituted as counsel of record for all further proceedings in this case. Defendant 21 is indigent and is financially unable to retain counsel. Defendant had his initial 22 appearance in Yuma, Arizona, before U.S. Magistrate Judge Jay R. Irwin, on April 23 16, 2007, at which time Assistant Federal Public Defender Richard L. Juarez was 24 appointed to represent Mr. San Diego. After this appointment, Defendant's case was 25 26 27 28 transferred to Phoenix. Therefore, Assistant Federal Public Defender Richard L. Juarez should be terminated as counsel in all further proceedings. It is expected that excludable delay under Title 18 U.S.C. ยง 3161(h)(1)(F) may occur as a result of this motion or from an order based thereon.
Case 2:02-cr-00958-SRB
Document 94
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Respectfully submitted this 18th day of April 2007. JON M. SANDS Federal Public Defender s/ Douglas A. Passon DOUGLAS A. PASSON Asst. Federal Public Defender
7 Copy of the foregoing transmitted CM/ECF for filing this 18th day 8 by April 2007 to: of Clerk's Office 10 United States District Court Sandra Day O'Connor Courthouse 11 401 W. Washington Phoenix, AZ 85003 12 13 Darcy Cerow Attorney Assistant U.S. 14 United States Attorney's Office Two Renaissance Square 15 40 N. Central Avenue, Suite 1200 Phoenix, AZ 85004-4408 16 Richard L. Juarez 17 Assistant Federal Public Defender 4th Avenue, Suite 400 18 2450 South 85364 Yuma, AZ 19 20 22 s/ Douglas A. Passon 23 Douglas A. Passon 24 25 26 27 28 2 Copy mailed to: 9
Jason San Diego 21 Defendant
Case 2:02-cr-00958-SRB
Document 94
Filed 04/18/2007
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