United States of America v. Approximately $37,719.00 in U.S. Currency et al

Filing 6

STIPULATION and ORDER signed by District Judge Kimberly J. Mueller on 12/14/2017 EXTENDING Time to 2/13/2018, for the United States to file a Complaint for Forfeiture and/or to Obtain an Indictment Alleging Forfeiture. (York, M)

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4 PHILLIP A. TALBERT United States Attorney KEVIN C. KHASIGIAN Assistant U. S. Attorney 501 I Street, Suite 10-100 Sacramento, CA 95814 Telephone: (916) 554-2700 5 Attorneys for the United States 1 2 3 6 7 8 IN THE UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10 11 UNITED STATES OF AMERICA, 12 13 14 2:17-MC-00152-KJM-EFB Plaintiff, v. APPROXIMATELY $37,719.00 IN U.S. CURRENCY, STIPULATION AND ORDER EXTENDING TIME FOR FILING A COMPLAINT FOR FORFEITURE AND/OR TO OBTAIN AN INDICTMENT ALLEGING FORFEITURE 15 16 17 APPROXIMATELY $96,409.27 SEIZED FROM CHASE BANK ACCOUNT NUMBER 105589805, HELD IN THE NAME OF MEDITERRANEAN MARKET, and 18 19 20 21 APPROXIMATELY $18,623.98 SEIZED FROM GOLDEN ONE CREDIT UNION ACCOUNT NUMBER 1290544, HELD IN THE NAMES OF BASSAM ADEEB ABUGHAZALEH AND SAHAR ABUGHAZALEH, 22 Defendants. 23 24 It is hereby stipulated by and between the United States of America and potential claimants 25 Bassam Adeeb Abughazaleh, Sahar Abughazaleh, and Kayed Bouri (“claimants”), by and through their 26 counsel, as follows: 27 1. On July 18, 2017, claimants filed a claims in the administrative forfeiture proceeding with 28 the U.S. Secret Service with respect to the Approximately $37,719.00 in U.S. Currency, Approximately 1 Stipulation and Order to Extend Time 1 $96,409.27 seized from Chase Bank Account Number 105589805, held in the name of Mediterranean 2 Market, and Approximately $18,623.98 seized from Golden One Credit Union Account Number 3 1290544, held in the names of Bassam Adeeb Abughazaleh and Sahar Abughazaleh (hereafter “defendant 4 funds”), which were seized on or about April 27, 2017. 5 2. The U.S. Secret Service has sent the written notice of intent to forfeit required by 18 6 U.S.C. § 983(a)(1)(A) to all known interested parties. The time has expired for any person to file a claim 7 to the defendant funds under 18 U.S.C. § 983(a)(2)(A)-(E), and no person other than claimants has filed a 8 claim to the defendant funds as required by law in the administrative forfeiture proceeding. 9 3. Under 18 U.S.C. § 983(a)(3)(A), the United States is required to file a complaint for 10 forfeiture against the defendant funds and/or to obtain an indictment alleging that the defendant funds are 11 subject to forfeiture within ninety days after a claim has been filed in the administrative forfeiture 12 proceeding, unless the court extends the deadline for good cause shown or by agreement of the parties. 13 That deadline was October 16, 2017. 14 4. By Stipulation and Order filed October 19, 2017, the parties stipulated to extend to 15 November 15, 2017, the time in which the United States is required to file a civil complaint for forfeiture 16 against the defendant funds and/or to obtain an indictment alleging that the defendant funds are subject to 17 forfeiture. 18 5. By Stipulation and Order filed November 14, 2017, the parties stipulated to extend to 19 December 15, 2017, the time in which the United States is required to file a civil complaint for forfeiture 20 against the defendant funds and/or to obtain an indictment alleging that the defendant funds are subject to 21 forfeiture. 22 6. As provided in 18 U.S.C. § 983(a)(3)(A), the parties wish by agreement to extend to 23 February 13, 2018, the time in which the United States is required to file a civil complaint for forfeiture 24 against the defendant funds and/or to obtain an indictment alleging that the defendant funds are subject to 25 forfeiture. 26 /// 27 /// 28 /// 2 Stipulation and Order to Extend Time 1 7. Accordingly, the parties agree that the deadline by which the United States shall be 2 required to file a complaint for forfeiture against the defendant funds and/or to obtain an indictment 3 alleging that the defendant funds are subject to forfeiture shall be extended to February 13, 2018. 4 Dated: 12/13/17 PHILLIP A. TALBERT United States Attorney 5 By: 6 /s/ Kevin C. Khasigian KEVIN C. KHASIGIAN Assistant U.S. Attorney 7 8 Dated: 12/11/17 10 /s/ David D. Fischer DAVID D. FISCHER KELLY BABINEAU Attorneys for potential claimants Bassam Adeeb Abughazaleh, Sahar Abughazaleh, and Kayed Bouri 11 (Signature authorized by email) 9 12 13 IT IS SO ORDERED. 14 Dated: December 14, 2017. 15 UNITED STATES DISTRICT JUDGE 16 17 18 19 20 21 22 23 24 25 26 27 28 3 Stipulation and Order to Extend Time

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