Você está na página 1de 2

Case 2:16-cr-00046-GMN-PAL Document 683 Filed 09/27/16 Page 1 of 2

1
2
3
4
5

JOEL F. HANSEN, ESQ.


Nevada Bar No. 1876
COOPER LEVENSON, P.A.
1835 Village Center Circle
Las Vegas, NV 89134
(702) 366-1125: office
(702) 366-1857: facsimile
jfhansen@cooperlevenson.com
Attorney for Defendant Cliven D. Bundy

6
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF NEVADA

7
8

UNITED STATES OF AMERICA,

12

2:16-cr-00046-GMN-PAL-1

Plaintiff,

10
11

CASE NO.:

v.
CLIVEN D. BUNDY,

13

Defendant

14

DEFENDANT CLIVEN D. BUNDYS


MOTION TO JOIN IN PETER
SANTILLIS MOTION TO CONTINUE
CASE MANAGEMENT RULE 12
MOTIONS AND NOTICES DEALINES
BY 30 DAYS [Doc No. 672]

15
16
17

Defendant CLIVEN D. BUNDY, by and through his counsel, Joel F. Hansen, Esq. of Cooper

18
19
20

Levenson, P.A.,, hereby joins in Defendant Peter Santillis Motion to Continue Case Management
Rule 12 Motions1 Deadlines by 30 days (See Doc. No. 672).

21

///

22

///

23

///

24

///

25
///
26
27
1

28

October 3, 2016 is the current deadline for pretrial motions and notices under Rule 12 and Local Rule 12(1)(b).
It does not appear that Defendant Santilli intended to limit his request to only pretrial motions, and is also
requesting a 30 day extension of the deadline for notices of defense.

Case 2:16-cr-00046-GMN-PAL Document 683 Filed 09/27/16 Page 2 of 2

1
2
3

This joinder is being filed as an accommodation to Cliven D. Bundy, as this Court is aware
that Mr. Bundys counsel, Joel F. Hansen, has recently filed a Motion to Withdraw. Therefore, Mr.
Bundy needs new counsel to prepare for the Rule 12 motions and notices. This joinder also

4
incorporates all arguments made by Defendant Santilli.
5
6

DATED this 27th day of September, 2016.

Respectfully Submitted:

COOPER LEVENSON, P.A.


BY:

9
10
11

/s/ Joel F. Hansen__________________


JOEL F. HANSEN, ESQ.
Nevada Bar No. 1876
1835 Village Center Circle
Las Vegas, NV 89134
Attorney for Defendant Cliven Bundy

12
13
14

CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on the 27th day of September, 2016, the undersigned served the

15

foregoing DEFENDANT CLIVEN D. BUNDYS MOTION TO JOIN IN PETER SANTILLIS

16

MOTION TO CONTINUE CASE MANAGEMENT RULE 12 MOTIONS AND NOTICES

17

DEADLINE BY 30 DAYS [Doc No. 672] on all counsel herein by causing a true copy thereof to be

18

filed with the Clerk of Court using the CM/ECF system, which was served via electronic

19

transmission by the Clerk of Court pursuant to local order.

20

/s/ Lisa M. Sabin____________________


An Employee of Cooper Levenson, P.A.

21
22
23
24
25
26

CLAC 3735982.1

27
28
2

Você também pode gostar