Opinion
CASE NO. 12-CR-250 - KJM
09-06-2012
Respectfully submitted. Kyle R. Knapp Attorney for Defendant, Xavier Johnson Respectfully submitted. Matthew Morris Assistant U.S. Attorney Attorney for Plaintiff
KYLE R. KNAPP
Attorney at Law
California State Bar No. 166597
Attorney for Xavier Johnson
STIPULATION AND ORDER
CONTINUING DATE FOR POSTING OF
PROPERTY BOND
IT IS HEREBY STIPULATED by and between the parties hereto through their respective counsel, Matthew Morris, Assistant United States Attorney, attorney for plaintiff and Kyle Knapp, attorney for defendant, XAVIER JOHNSON, that the due date for posting of the property bond ordered as part of Mr. Johnson's pretrial release be continued from September 5, 2012 to September 19, 2012. Good cause for the continuance exists as the owner of the property in question was hospitalized for the two weeks following my client's release and the defendant, Xavier Johnson has been and will be in Georgia until September 10, 2012. At the time of release, both the court and pretrial services were apprised of the defendant's Georgia trip. Pretrial Services is informed of the need for this request and has no opposition to the request for more time to post the property bond.
Respectfully submitted.
_________________
Kyle R. Knapp
Attorney for Defendant, Xavier Johnson
Respectfully submitted.
_________________
Matthew Morris
Assistant U.S. Attorney
Attorney for Plaintiff
ORDER
GOOD CAUSE APPEARING, and pursuant to the stipulation of the parties, the due date for the required property bond be continued to September 19, 2012.
Gregory G. Hollows
UNITED STATES MAGISTRATE JUDGE