Corpus: 543,223 opinions · 3,177 judges · newest 2026-06-23 · expanding Coverage ↗
Opinion

govinfo:USCOURTS-cand-3_18-cr-00607-3

U.S. District Court for the Northern District of California · 2026-06-15

· GavelSight synced 2026-09-06 03:38:39

[PROPOSED] STIPULATED ORDER 
GUYTON, CR 26–138 CRB 
 
1 
2 
3 
4 
5 
6 
7 
8 
9 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
26 
27 
28 
JODI LINKER, Bar Number 230273 
Federal Public Defender 
Northern District of California 
TAYLOR FATHERREE, Bar Number 358709 
Assistant Federal Public Defender 
19th Floor Federal Building - Box 36106 
450 Golden Gate Avenue 
San Francisco, CA 94102 
Telephone: (415) 436-7700 
Facsimile: (415) 436-7706 
Email: Taylor_Fatherree@fd.org 
Counsel for Zachary GUYTON 
IN THE UNITED STATES DISTRICT COURT 
FOR THE NORTHERN DISTRICT OF CALIFORNIA 
SAN FRANCISCO DIVISION 
 
UNITED STATES OF AMERICA, 
 Plaintiff, 
 v. 
ZACHARY GUYTON 
 Defendant. 
 
Case No.: 26–82; 18-607-2 CRB 
STIPULATION AND [PROPOSED] 
ORDER TO CONTINUE 
 
The above-titled matters are currently scheduled for a status conference on June 17, 
2026, at 10:00 AM. Defense counsel will be out of town on that date at a training. The 
government is in the process of sending a proposed plea agreement to the defense, and defense 
counsel continues to review discovery. The parties therefore respectfully request and stipulate 
that the presently scheduled hearing be continued to August 19, 2026 at 10:00 AM for a status 
conference. 
The parties further stipulate that time should be excluded from computation under the 
Speedy Trial Act from June 17, 2026 through August 19, 2026, to allow for the effective 
MODIFIED 

 
[PROPOSED] STIPULATED ORDER 
GUYTON, CR 26–138 CRB 
 
1 
2 
3 
4 
5 
6 
7 
8 
9 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
26 
27 
28 
preparation of counsel. See 18 U.S.C. § 3161(h)(7)(B)(iv). The parties also agree that the ends 
of justice served by excluding time under the Speedy Trial Act from June 17, 2026 through 
August 19, 2026 outweigh the best interest of the public and Mr. Guyton’s right to a speedy 
trial. See 18 U.S.C. § 3161(h)(7)(A). 
 
IT IS SO STIPULATED. 
 
 June 11, 2026 CRAIG H. MISSAKIAN 
 Dated United States Attorney 
 Northern District of California 
 
 /S 
 KEVIN BARRY 
 Assistant United States Attorney 
 
 
 June 11, 2026 JODI LINKER 
 Dated Federal Public Defender 
 Northern District of California 
 
 /S 
 TAYLOR FATHERREE 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
 
Attorney for Zachary Guyton 
 
 
 
 
 

 
[PROPOSED] STIPULATED ORDER 
GUYTON, CR 26–138 CRB 
 
1 
2 
3 
4 
5 
6 
7 
8 
9 
10 
11 
12 
13 
14 
15 
16 
17 
18 
19 
20 
21 
22 
23 
24 
25 
26 
27 
28 
 
[PROPOSED] ORDER 
Based on the facts set forth in the parties’ stipulation and for good cause shown, the 
Court here CONTINUES the cases to August 19, 2026, at 10:00 AM for a status hearing. 
Based on the stipulation and for good cause shown, the Court also finds that failing to 
exclude the time from June 17, 2026 through August 19, 2026 would unreasonably deny 
defense counsel and the defendant the reasonable time necessary for effective preparation, 
taking into account the exercise of due diligence. 18 U.S.C. § 3161(h)(7)(B)(iv). The Court 
further finds that the ends of justice served by excluding the time from June 17, 2026 through 
August 19, 2026 from computation under the Speedy Trial Act outweigh the best interests of 
the public and Mr. Guyton’s interest in a speedy trial. Therefore, and with the consent of the 
parties, IT IS HEREBY ORDERED that the time from June 17, 2026 through August 19, 2026 
shall be excluded from computation under the Speedy Trial Act. 18 U.S.C. § 3161(h)(7)(A), 
(B)(iv). 
IT IS SO ORDERED. 
 
DATED: _____________________________ 
 CHARLES R. BREYER 
 United States Senior District Judge 
 
 
 
 
 
 
 
August 18, 2026 at 10:00 a.m. 
MODIFIED
June 15, 2026

Passage view · GavelSight