United States of America v. 1975 Grumman American G-1159 et al

Filing 8

ORDER Granting 7 Motion MOTION to Extend CAFRA Deadline to File Complaint. Complaint due by 4/28/2014. Signed by Magistrate Judge Carl W. Hoffman on 4/22/2014. (Copies have been distributed pursuant to the NEF - SLR)

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1 DANIEL G. BOGDEN United States Attorney 2 District of Nevada 3 MICHAEL A. HUMPHREYS Assistant United States Attorney 4 333 Las Vegas Boulevard South, Suite 5000 Las Vegas, Nevada 89101 5 Telephone: 702-388-6336 Facsimile: 702-388-6787 6 Email: Michael.humphreys@usdoj.gov 7 Attorneys for the United States of America 8 9 UNITED STATES DISTRICT COURT 10 DISTRICT OF NEVADA 11 UNITED STATES OF AMERICA, 12 13 Plaintiff, v. 14 1975 GRUMMAN AMERICAN G-1159 AIRPLANE, SERIAL NO. 157 15 TAIL REGISTRATION NO. N468HW, 16 1969 GRUMMAN AMERICAN G-1159 AIRPLANE, SERIAL NO. 50 17 TAIL REGISTRATION NO. N650KA, 18 19 Defendants. ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) Case No. 2:14-CV-101-APG-(CWH) 20 21 22 UNITED STATES’ FOURTH MOTION TO EXTEND CAFRA DEADLINE TO FILE COMPLAINT The United States of America by and through Daniel G. Bogden, United States Attorney for 23 the District of Nevada and Michael A. Humphreys, Assistant United States Attorney, respectfully 24 moves this Court to grant a thirty day extension, or until April 28, 2014, to file its forfeiture 25 complaint, in rem in the above-captioned action. The CAFRA deadline for the Government to file 26 1 its complaint is currently April 21, 2014. This Court granted a third continuance on this matter thirty 2 days ago. 3 For its grounds, the United States says that the parties to this action, the United States of 4 America, plaintiff, and the Claimant, Ford Electric, have reached a verbal agreement to settle the 5 case, but need an additional few days to reduce the agreement to writing and to be executed by all of 6 the interested parties, before presentation to this Court for approval. 7 The undersigned has discussed this matter with Claimant’s counsel, George Crow, and he has 8 given Government counsel consent to inform this Court that he does not oppose this seven-day 9 extension. 10 WHEREFORE, the United States moves this Court to grant its motion to extend the time for 11 the United States to file its complaint in this matter for an additional seven (7) days; or until April 12 28, 2014. 13 DATED this 21st day of April 2014. 14 Respectfully submitted, 15 DANIEL G. BOGDEN United States Attorney 16 /s/Michael A. Humphreys MICHAEL A. HUMPHREYS Assistant United States Attorney 17 18 19 IT IS SO ORDERED: 20 21 UNITED STATES MAGISTRATE JUDGE April 22, 2014 DATED: 22 23 24 25 26 2 1 CERTIFICATE OF SERVICE It is hereby certified that service of the foregoing UNITED STATES’ FOURTH 2 3 MOTION TO EXTEND CAFRA DEADLINE TO FILE COMPLAINT was made by sending a st 4 copy of same by first class mail, addressed to the following addressee, on this 21 day of April, 5 2014: 6 7 Regular U.S. Mail George E. Crow 8 Law Office of George E. Crow Aviation Law Firm 9 P.O. Box 30 Katy, TX 77492-0146 10 11 12 /s/ Ray Southwick Ray Southwick Forfeiture Support Associates Paralegal 13 14 15 16 17 18 19 20 21 22 23 24 25 26 3

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