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BENJAMIN B. WAGNER

United States Attorney

MICHAEL D. McCOY
Assistant United States Attorney

501 I Street, Suite 10-100
Sacramento, CA 95814

Telephone: (916) 554-2700
Facsimile: (916) 554-2900




Attorneys for Plaintiff
United States of America


IN THE UNITED STATES DISTRICT COURT

EASTERN DISTRICT OF CALIFORNIA


UNITED STATES OF AMERICA,

Plaintiff,

v.

KEITH WAYNE SWYGERT,

Defendant,









CASE NO.: 2:13-CR-00211 TLN

STIPULATION REGARDING
EXTENSION OF TIME TO FILE
RESPONSE; AND ORDER




STIPULATION

Plaintiff United States of America, by and through its counsel of record, and defendant, by

and through his counsel of record, hereby stipulate as follows:



1.

2.

On August 15, 2013, the defendant filed a Motion to Suppress Evidence.

By previous order, the government’s response to the defendant’s motion is due on

September 20, 2013.

3.

By this stipulation, the government requests an additional three days, until September

23, 2013, to file its response to the defendant’s motion.

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4.

If granted, this extension of time to respond will not impact or require any changes to

the remainder of the current briefing schedule for the defendant’s Motion to Suppress Evidence,

which is as follows:









Defendant’s optional reply:



October 3, 2013

Non-evidentiary motion hearing: October 10, 2013.

5.

The undersigned has contacted counsel for the defendant, who has indicated that he

has no objection to the government’s request for an additional three days to respond to the

defendant’s motion.





IT IS SO STIPULATED.

DATED:











DATED:

September 20, 2013















September 20, 2013







/s/ Michael D. McCoy
MICHAEL D. McCOY
Assistant United States Attorney




































/s/ Michael Petrik, Jr..
MICHAEL PETRIK, JR.
Counsel for Defendant KEITH WAYNE SWYGERT
Per e-mail authorization

O R D E R

IT IS SO FOUND AND ORDERED this 23rd day of September, 2013.











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