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Case 2:13-cr-00082-KJM Document 8 Filed 04/08/13 Page 1 of 1 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA UNITED STATES

OF AMERICA, Plaintiff, v. MATTHEW KEYS, Defendant. : : : : : : : : : Criminal No. 2:13-cr-00082 (KJM)(EFB) STIPULATION TO EXTEND THE TIME FOR DEFENDANTS ARRAIGNMENT AND PROPOSED ORDER Hon. Kimberly J. Mueller

Defendant Matthew Keys (by Jason Scott Leiderman, Esq.) and Benjamin D. Wagner, United States Attorney for the Eastern District of California (by James A. Silver, Trial Attorney, United States Department Of Justice), hereby stipulate and consent to the entry of an order granting a continuance of the arraignment in the abovecaptioned matter to April 23, 2013 at 2:00 p.m.

/s/ JayLeiderman_____ Jason Scott Leiderman The Law Offices of Jay Leiderman, P.C. 5740 Ralston Street Suite 300 Ventura, CA 93003 (805) 654-0200 (805) 654-0280 fax jay@criminal-lawyer.me /s/ James A Silver James A. Silver United States Trial Attorney Computer Crime and Intellectual Property Section United States Department of Justice 1301 New York Avenue NW, Suite 600 Washington, DC 20530 (202) 514-1026

Case 2:13-cr-00082-KJM Document 8-1 Filed 04/08/13 Page 1 of 3

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA UNITED STATES OF AMERICA, Plaintiff, v. MATTHEW KEYS, Defendant. : : : : : : : : : Criminal No. 2:13-cr-00082 (KJM)(EFB) [PROPOSED] ORDER TO CONTINUE THE TIME FOR DEFENDANTS ARRAIGNMENT

This matter having come before the Court on the joint application of defendant Matthew Keys (by Jason Scott Leiderman, Esq.) and Benjamin D. Wagner, United States Attorney for the Eastern District of California (by James A. Silver, Trial Attorney, United States Department of Justice), for an order granting a continuance of the arraignment in the above-captioned matter to April 23, 2013 at 2:00 p.m., and the defendant being aware that he has the right to have the matter brought to trial within 70 days of defendants appearance before a judicial officer of this court under Title 18 of the United States Code, Section 3161(c) (1), and as the United States has consented to such a continuance, and for good and sufficient cause shown,

Case 2:13-cr-00082-KJM Document 8-1 Filed 04/08/13 Page 2 of 3 IT IS THE FINDING OF THIS COURT that this action should be continued for the following reasons: 1. The defendants recently retained counsel has a conflict with the original April 12th, 2013 arraignment date that precedes defense counsels retention; 2. The grant of a continuance will likely conserve judicial resources; and 3. Under Title 18 of the United States Code, Section 3161(h)(7),the ends of justice served by granting the continuance outweigh the best interests of the public and the defendant in a speedy trial. IT IS, therefore, on this day of April, _______ 2013, ORDERED that this action be, and it hereby is, continued from the date of this Order through and including April 23, 2013; and it is further ORDERED that the defendants arraignment shall be moved to April 23, 2013 at 2:00 p.m.

Case 2:13-cr-00082-KJM Document 8-1 Filed 04/08/13 Page 3 of 3 ORDERED that the period from the date of this Order through and including April 23, 2013 shall be excludable in computing time under the Speedy Trial Act of 1974, pursuant to Title 18, United States Code Section 3161(h) (7).

Hon. Edmund F. Brennan United States Magistrate Judge Dated: ______________________

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