LAUFENBERG IS TAKING A PLEA AGREEMENT!!!ARE "DIRTY DOUG" MCCARRON,FRANKY "THE CHIMP" SPENCER AND "MIKEY CHEAP SUITS" CAPELLI SHYTEING IN THEIR DEPENDS??





"To allow the
parties to conduct plea negotiations and attempt to finalize a plea agreement"


UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF NEW JERSEY
UNITED STATES OF AMERICA
V.
GEORGE R. LAUFENBERG
Hon. Kevin McNulty
Crim. No. 19-698(KM)
ORDER FOR CONTINUANCE
This matter having been opened to the Court by Craig Carpenito, United
States Attorney for the District of New Jersey (Kendall Randolph, Special
Assistant United States Attorney appearing), and the defendant George R.
Laufenberg (Peter W. Till, Esq., appearing), for an order granting a continuance
of the proceedings in the above-captioned matter from the date this Order is
signed through and including August 31, 2020, to permit defense counsel the
reasonable time necessary for effective preparation in this matter and to allow the
parties to conduct plea negotiations and attempt to finalize a plea agreement, and
the defendant being aware that the defendant has the right to have the matter
brought to trial within seventy (70) days of his initial appearance or the making
public of the indictment, whichever occurs last, pursuant to Title 18, United
States Code, Section 316, and the defendant having consented to the continuance
and waived such right, and this being the second request for a continuance in this
matter, and for good cause shown,
IT IS THE FINDING OF THIS COURT that this action should be continued
for the following reasons:

(1) Taking into account the exercise of diligence, the facts of this
case require that defense counsel be permitted a reasonable amount of additional
time for effective preparation in this matter;
(2) Plea negotiations are anticipated, and both the United States
and the defendant desire additional time to negotiate a plea agreement, which
would render any subsequent trial of this matter unnecessary;
(3) The current global pandemic due to COVID-19 affects
operations necessary for effective preparation of this matter;
(4) The defendant has consented to the above-referenced
continuance; and
(5) As a result of the foregoing, pursuant to Title 18, United States
Code, Section 3161(h)(7), the ends of justice served by granting the continuance
outweigh the best interest of the public and the defendant in a speedy trial.
IT IS, therefore, on this 5 t h day of June, 2020,
ORDERED that this action be, and hereby is, continued from the date this Order
is signed through and including August 31, 2020; and it is further

ORDERED that the period from the date this Order is signed through and
including August 31, 2020 shall be excludable in computing time under the
Speedy Trial Act of 1974.
Consented and Agreed to by:
Peter W. Till, E
HONORABLE KEVIN MCNULTY
United States District Judge
Counsel for endant George R. Laufenberg
Kendall Randolph
Special Assistant United States Attorney
/s/ Kevin McNulty
Case 2:19-cr-00698-KM










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