Free Motion for Miscellaneous Relief - District Court of Delaware - Delaware


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Date: May 23, 2008
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State: Delaware
Category: District Court of Delaware
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Case 1 :07-cr-00169-SLR Document 21 Filed 05/23/2008 Page 1 of 3
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF DELAWARE
UNITED STATES OF AMERICA, )
Plaintiff )
v. i Criminal Action N0. 07-169-SLR
CHRISTOPER EWELL, i
Defendant. )
MOTION TO SET BRIEFING SCHEDULE
NOW COMES the United States, by and through its undersigned attorneys, and hereby
moves to set a briefing schedule as follows.
1. On January 31, 2008, the defendant filed a Motion to Suppress Evidence and Statements.
2. On March 18, 2008, and May 21, 2008, this Court held evidentiary hearings on the motion.
3. The parties have conferred and respectfully request the following briefing schedule:
Governrnent’s Post-Hearing Response due: June 11, 2008
Defendant’s Brief in Support due: June 25, 2008
Govermnent’s Reply (if any) due: July 2, 2008
4. The United States has consulted with defense counsel, who does not oppose this Motion.

Case 1 :07—cr—00169-SLR Document 21 Filed 05/23/2008 Page 2 of 3
WHEREFORE, the United States respectfully request that this Court issue an order setting
the above briefing schedule and excluding time under the Speedy Trial Act.
Respectfully submitted,
COLM F. CONNOLLY
United States Attorney
BY: ..--- ‘ ` ( ~==——·
na I-1. Eisenstein
Assistant United States Attorney
Dated: May 22, 2008

Case 1 :07—cr—00169-SLR Document 21 Filed 05/23/2008 Page 3 of 3
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF DELAWARE
UNITED STATES OF AMERICA, )
)
Plaintiff] )
)
v. ) Criminal Action No. 07-l69-SLR
)
CHRISTOPER EWELL, )
)
Defendant. )
ORDER
IT IS HEREBY ORDERED this day of , 2008, that the briefing
schedule on the defendant’s Motion to Suppress Evidence and Statements be as follows:
Govemment’s Post-Hearing Response due: June ll, 2008
Defendant’s Brief in Suppoit due: June 25, 2008
Govemment’s Reply (if any) due: July 2, 2008
HONORABLE SUE L. ROBINSON
United States District Judge

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