USA v. Real Property Located at 1904 Lee Street, Alexandria, Rapides Parish, Louisiana, APN: 24-0389-35143-000101 et al
Filing
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STIPULATION to STAY CASE and to VACATE Scheduling Conference; ORDER Thereon signed by Magistrate Judge Gary S. Austin on 11/23/2010. (Bradley, A)
USA v. Real Property Located at 1904 Lee Street, Alexandria, Rapides P... 24-0389-35143-000101 et al
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BENJAMIN B. WAGNER United States Attorney KELLI L. TAYLOR KAREN A. ESCOBAR Assistant United States Attorneys United States Courthouse 2500 Tulare Street, Suite 4401 Fresno, California 93721 Telephone: (559) 497-4000 Facsimile: (559) 497-4099 Attorneys for Plaintiff
7 8 IN THE UNITED STATES DISTRICT COURT FOR THE 9 EASTERN DISTRICT OF CALIFORNIA 10 11 UNITED STATES OF AMERICA, 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 ) ) Plaintiff, ) ) v. ) ) REAL PROPERTY LOCATED AT 1904 ) LEE STREET, ALEXANDRIA, ) LOUISIANA, RAPIDES PARISH, ) APN: 24-0389-35143-000101, INCLUDING ) ALL APPURTENANCES AND ) IMPROVEMENTS THERETO, and ) ) REAL PROPERTY LOCATED AT 1740 ) MONROE STREET, ALEXANDRIA, ) LOUISIANA, RAPIDES PARISH, ) APN: 24-039-35186-000202, INCLUDING ) ALL APPURTENANCES AND ) IMPROVEMENTS THERETO, ) ) Defendants. ) _____________________________________) 1:10-CV-01486-AWI-GSA STIPULATION TO STAY CASE AND TO VACATE SCHEDULING CONFERENCE; ORDER THEREON
IT IS HEREBY STIPULATED by and between Plaintiff, United States of America and Potential Claimants Edwan Dablan and Millenium 1, LLC as follows: 1. Potential Claimant Edwan Dablan is presently facing federal criminal charges in the
Eastern District of California, United States v. Edwan Dablan, et al., 1:10-CR-00173-AWI, allegedly relating to transactions or events which form the basis for this civil forfeiture action. ///
STIPULATION TO STAY CASE AND TO VACATE SCHEDULING CONFERENCE; ORDER THEREON
Dockets.Justia.com
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2.
The parties recognize that proceeding with this action has potential adverse affects
on the prosecution of the related criminal case and/or upon Potential Claimant Edwan Dablan's right against self-incrimination in the related federal criminal case. 3. Publication of the civil forfeiture action has completed and to date neither Edwan
Dablan, Millenium 1, LLC, nor any other potential claimants have filed claims, answers, or otherwise appeared in this action. THEREFORE, the parties to this action stipulate and request as follows: 1. Pursuant to 18 U.S.C. § 981(g), this action be stayed pending the conclusion of the
federal criminal action presently pending against Edwan Dablan in the Eastern District of California; 2. The Scheduling Conference in the civil case scheduled for February 14, 2011, at 9:00
a.m. in Courtroom 10 before Magistrate Judge Gary S. Austin be vacated; and, 3. The parties are to promptly notify the Court when the criminal case resolves. BENJAMIN B. WAGNER United States Attorney /s/ Kelli L. Taylor KELLI L. TAYLOR Assistant United States Attorney
Dated: November 18, 2010
Dated: November 12, 2010
/s/ Daniel A. Bacon DANIEL A. BACON Attorney for Potential Claimants Edwan Dablan and Millenium 1, LLC (Original signature retained by attorney)
IT IS SO ORDERED. Dated: 6i0kij
November 23, 2010
/s/ Gary S. Austin UNITED STATES MAGISTRATE JUDGE
STIPULATION TO STAY CASE AND TO VACATE SCHEDULING CONFERENCE; ORDER THEREON
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