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Theron M Hall III T h e H a l l F i r m p. c. State Bar Number 019114 One Renaissance Square Two North Central Avenue Suite 735 Phoenix, AZ 85004 (602) 2226699 Fax (602) 4432221
Attorney for Defendant IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ARIZONA
United States of America, Plaintiff, v. Kristina Ingles (04) Defendant
Case No. CR-03-854-004-PHX-JAT DEFENDANT'S MOTION TO COTINUE TRIAL DATE (7th Request)
Defendant Kristina Ingles, through undersigned counsel, respectfully requests that this Court continue the trial date for a period of ninety days from the current date of February 6, 2007. Defendant Kristina Ingles was previously enrolled in a Pretrial Diversion Program in this matter. Had Ms. Ingles been able to pay restitution in the amount of $1,341, this case would have been dismissed with prejudice. As noted on the record in the hearing on January 17, 2007, a sealed motion for a competency evaluation has been prepared. Due to the time that it will take to conduct an evaluation and have a report prepared, a continuance is requested.
Case 2:03-cr-00854-LOA
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Filed 01/17/2007
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Assistant U.S. Attorney Paul Rood does not oppose this motion. It is expected that excludable delay under Title 18 U.S.C. Section 3161(h)________ may occur as a result of this motion or from an order based thereon. Respectfully submitted this 17th day of January, 2007.
s/Theron M Hall III Theron M Hall III
Case 2:03-cr-00854-LOA
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Filed 01/17/2007
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