Motion Picture Association of America v. CrystalTech Web Hosting Inc.
M o t i o n Picture Association of America v. CrystalTech Web Hosting Inc.
D o c . 650
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D E N N IS K. BURKE U n ite d States Attorney D is tric t of Arizona D A V ID R. ZIPPS Assistant U.S. Attorney U n i te d States Courthouse 4 0 5 W. Congress Street, Suite 4800 T u c so n , Arizona 85701 T e le p h o n e : 520-620-7300 d a v id .z ip p s @ u s d o j.g o v A tto rn e ys for Plaintiff U N I T E D STATES DISTRICT COURT D IS T R IC T OF ARIZONA U n ite d States of America, M a g . No. 09-09571M P l a in tif f , v. E lia s Ezaidh Cruz-Santoscoy, Defendant. T h e United States, by and through counsel undersigned, and by authority of the United NOTICE OF INTENT TO D E S T R O Y CONTRABAND
15 S ta te s Attorney General pursuant to 21 U.S.C. §881(f)(2) and 28 CFR 50.21, hereby provides 16 n o tice that the contraband seized in the above complaint, information or indictment filed in 17 this matter, will be destroyed after sixty (60) days from the date of seizure by the seizing 18 a g e n c y to the United States Attorney's Office. The date of the seizure is October 18, 2009. 19 If the defense desires to reweigh, retest or analyze the contraband prior to its destruction, 20 the defense shall file a motion with the court within fourteen (14) days of the date of this 21 n o tic e of intent to destroy setting forth the basis for which an extended retention is sought 22 a n d providing a reasonable time frame to accomplish same. Should the defense file a motion 23 f o r extended retention, the government respectfully requests a prompt hearing on the merits 24 o f this request. The defense will also make arrangements directly with the assigned Assistant 25 U n ite d States Attorney to make arrangements for the reweigh, testing, examination, etc. 26 F a ilu re of the defense to file a motion within fourteen (14) days indicating a need for 27 p re se rv a tio n of the contraband beyond the mandated sixty (60) days will be deemed as 28
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c o n se n t by the defendant to the destruction of the contraband in excess of the representative sa m p le maintained for use at trial. E x c lu d a b le delay under 18 U.S.C. §3161(h) may occur as a result of this notice or an o rd e r based thereon. R e sp e c tf u lly submitted this 6 th day of November, 2009.
D E N N IS K. BURKE U n ite d States Attorney D is tric t of Arizona /s / David R. Zipps DAVID R. ZIPPS Assistant U.S. Attorney
C o p y of the foregoing served electronically o r by other means this 6 th day of November, 2009, to: M a tth e w H. Green, Esq. A tto rn e y for the Defendant
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