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Case 3:04-cr-00010-HDM-CLB Document 278 Filed 09/06/24 Page 1 of 3
`Case 3:04-cr-00010-HDM-CLB Document 278 Filed 09/06/24 Page 1 of 3
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`JASON M. FRIERSON
`United States Attorney
`District of Nevada
`Nevada Bar Number 7709
`JIM W. FANG
`Assistant United States Attorney
`501 Las Vegas Blvd. South, Ste. 1100
`Las Vegas, Nevada 89101
`Phone:(702) 388-6336
`Email: jim.fang@usdoj.gov
`Attorneysfor the United States ofAmerica
`
`UNITED STATESDISTRICT COURT
`
`DISTRICT OF NEVADA
`
`UNITED STATES OF AMERICA,
`
`Plaintiff,
`
`V.
`
`JERMAINE ALONZO MITCHELL,
`
`Defendant.
`
`
`
`Case No. 3:04-cr-10-HDM-CLB
`ORDER GRANTING
`Stipulation to Extend Deadlines
`Regarding Defendant’s Motion (First
`Request)
`
`It is hereby stipulated and agreed, by and between Jason M.Frierson, United States
`
`Attorney, through Jim W.Fang, Assistant United States Attorney, and Wendi Overmyer,
`
`Assistant Federal Public Defender, counsel for Defendant Jermaine Alonzo Mitchell, that
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`the government’s deadline to respond to Mitchell’s Motion for Compassionate Release
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`underthe First Step Act, ECF No. 275, currently set for September 10, 2024, be extended
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`until October 11, 2024.
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`1.
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`Davis filed his motion on August 27, 2024, so the government’s current
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`deadlineto file a response is September 10, 2024.
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`2.
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`However, the undersigned government counsel just returned from a two-week
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`vacation on September 3, 2024, and also has three answeringbriefs due in September for
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`three cases in the Ninth Circuit, which will take significant amount of time to prepare.
`
`
`
`

`

` Case 3:04-cr-00010-HDM-CLB Document 278 Filed 09/06/24 Page 2 of 3
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`3.
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`Government counsel reached out to defense counsel, and defense counsel
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`graciously agreed on a new response deadline of October 11, 2024.
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`4.
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`As such, the government respectfully ask this Court to grant an extension,
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`until October 11, 2024, for the government to respond to Mitchell’s Motion for a Sentence
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`Reduction.
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`DATED this 4th day of September, 2024.
`
`JASON M. FRIERSON
`United States Attorney
`
` s/Jim W. Fang
`JIM W. FANG
`Assistant United States Attorney
`Counsel for the United States
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`s/ Wendi Overmyer
`WENDI OVERMYER
`Assistant Federal Public Defender
`Counsel for Mitchell
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`Case 3:04-cr-00010-HDM-CLB Document 278 Filed 09/06/24 Page 3 of 3
`Case 3:04-cr-00010-HDM-CLB Document 278 Filed 09/06/24 Page 3 of 3
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`UNITED STATESDISTRICT COURT
`
`DISTRICT OF NEVADA
`
`Case No.3:04-cr-10-HDM-CLB
`
`UNITED STATES OF AMERICA,
`
`Plaintiff,
`
`V.
`
`JERMAINE ALONZO MITCHELL,
`
`Defendant.
`
`
`
`ORDER
`
`Based on the pending Stipulation betweenthe defense and the government, and good
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`cause appearing therefore, IT IS HEREBY ORDEREDthat the Government’s responseto
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`defendant’s Motion for Compassionate Release, ECF No. 275, shall be filed and served on
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`or before October 11, 2024.
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`DATEDthis 6th
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`day of September, 2024.
`
`bral? S ftthud
`
`HONORABLE HOWARD D. MCKIBBEN
`
`UNITED STATES DISTRICT JUDGE
`
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