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United States v. Ritchie

United States District Court, D. Nevada

January 11, 2018

UNITED STATES OF AMERICA Plaintiff,
v.
CHARLES BURTON RITCHIE, and BENJAMIN GALECKI, a/k/a ZENCENSE BEN RYAN MATTHEW EATON, Defendant.

          UNITED STATES ATTORNEY JAMES E. KELLER, AUSA Attorney for Plaintiff

          CHESNOFF & SCHONFELD DAVID Z. CHESNOFF, ESQ. Nevada Bar No. 2292 RICHARD A. SCHONFELD, ESQ. Nevada Bar No. 6815 Attorney for Defendant, Benjamin Galecki

          COLE RADOVICH / Trial Attorney Narcotic and Dangerous Drug Section Criminal Division / U.S. Department of Justice

          JOHN LLOYD SNOOK, III Snoot & Haughey, P.C. Attorney for Defendant, Charles Burton Ritchie

          DAVID Z. CHESNOFF, ESQ. Nevada Bar #2292 RICHARD A. SCHONFELD, ESQ. Nevada Bar No. 6815 CHESNOFF & SCHONFELD

          SHAWN R. PEREZ, ESQ. Law Office of Shawn R. Perez Attorney for Defendant, Ryan Matthew Eaton

          STIPULATION TO CONTINUE PRETRIAL MOTION DEADLINES ORDER

         IT IS HEREBY STIPULATED and AGREED by and between James E. Keller, Assistant United States Attorney, Charles Anthony Miracle, U.S. Department of Justice, Cole Arnold Radovich, U.S. Department of Justice, and David Z Chesnoff, Esq., and Richard A. Schonfeld, attorney for Defendant, Benjamin Galecki and John Lloyd Snook, III, Esq., attorney for Defendant, Charles Burton Ritchie, and Shawn R. Perez, Esq., attorney for Defendant, Ryan Matthew Eaton, that Defendants shall have to and including February 12, 2018, within which to file the Defendant's pretrial motions.

         IT IS FURTHER STIPULATED AND AGREED, by and between the parties herein, that the government shall have to and including, March 5, 2018, within which to file any and all responsive pleadings.

         IT IS FURTHER STIPULATED AND AGREED, by and between the parties herein that the Defendant shall have to and including, March 15, 2018, within which to file any and all replies to said motions.

         That the calendar call scheduled for May 15, 2018 at 8:45 a.m. in this matter will commence on the scheduled date and time and is not impacted by this Stipulation. That the trial in this matter currently scheduled for May 21, 2018, at the hour of 9:00 a.m., will commence on the scheduled date and time and is not impacted by this Stipulation.

         While the parties agree to the above stated extensions of deadlines the parties disagree on whether grounds asserted on prior motions briefed before the court can or cannot be filed at this juncture, which this stipulation does not address.

         Accordingly, This Stipulation is entered into for the following reasons:

         1. That Counsel Schonfeld recently substituted in for Defendant Galecki and did not receive discovery from prior counsel. As a result, the government produced a new set of discovery for counsel Schonfeld on January 2, 2018;

         2. That Counsel Schonfeld needs the additional time to prepare pretrial Motions as a result of his recent appearance in this ...


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