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Opinion

govinfo:USCOURTS-cand-5_24-cr-00353-1

U.S. District Court for the Northern District of California · 2026-06-12

· GavelSight synced 2026-09-06 03:51:59

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Joint Stipulation and [Proposed] Order 
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TED W. CASSMAN (CABN 98932) 
Email: cassman@achlaw.com 
RAPHAEL M. GOLDMAN (CABN 229261) 
 Email: goldman@achlaw.com 
ARGUEDAS, CASSMAN, HEADLEY & GOLDMAN LLP 
803 Hearst Avenue 
Berkeley, CA 94710 
510.845.3000 (phone) 
510.845.3003 (fax) 
 
Attorneys for Defendant Wei Zou 
UNITED STATES DISTRICT COURT 
NORTHERN DISTRICT OF CALIFORNIA 
SAN JOSE COURTHOUSE 
UNITED STATES OF AMERICA, 
Plaintiff, 
vs. 
WEI ZOU, 
Defendant. 

JOINT STIPULATION AND 
[PROPOSED] ORDER CONTINUING 
S
TATUS CONFERENCE 
 
 Defendant Wei Zou and the United States of America, by and between their 
undersigned attorneys, hereby stipulate and agree as follows: 
1. At the last hearing in this matter, the Court scheduled the trial to begin on 
May 3, 2027, and scheduled an interim status conference for June 24, 2026. The 
Court ordered that Mr. Zou need not appear at the June 24, 2026 status conference 
unless the parties have reached an agreement to resolve the case and plan to 
consummate an agreement at the time of the hearing. 
2. Since the last hearing, the parties have continued to work cooperatively. 
The parties are engaged in discussions about resolving the case, but, in part because 
of the travel schedules of counsel, need additional time to complete those discussions. 

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Joint Stipulation and [Proposed] Order 
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Raphael M. Goldman 
ARGUDAS, CASSMAN, HEADLEY & 
GOLDMAN LLP 
Couns
el for Wei Zou 
Dat
ed: June 11, 2026 CRAIG H. MISSAKIAN 
United States Attorney 
/s/ Casey Boome 
CASEY BOOME 
Assistant United States Attorney 
[PROPOSED] ORDER 
Pursuant to the parties’ stipulation, and good cause appearing therefor, the 
C
ourt hereby ORDERS that the next status conference is continued from June 24, 
2026 at 10:00 a.m. to July 15, 2026 at 10:00 a.m. It is further ordered that time is 
excluded under the Speedy Trial Act from June 24, 2026 to July 15, 2026 based upon 
the complexity of the case and the need for effective preparation of counsel pursuant to 
18 U.S.C. §§ 3161(h)(7)(A) and (B)(ii). 
Mr. Zou need not appear at the July 15, 2026 hearing unless the parties have 
reached an agreement to resolve the case and plan to consummate an agreement at 
the time of the hearing. 
Accordingly, the parties stipulate and agree through their resp ective counsel t hat 
the Pretrial Conference should be continued from June 24, 2026 at 10:00 a.m. to July 
15, 2026 at 10:00 a.m. The parties further stipulate and agree that time should be 
excluded under the Speedy Trial Act from June 24, 2026 to July 15, 2026 based upon 
the complexity of the case and the need for effective preparation of counsel. See 18 
U.S.C. §§ 3161(h)(7)(A) and (B)(ii). 
IT IS SO STI PULATED, 
Dated: June 11, 2026 /s/ Raphael M. Goldman 

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oint Stipulation and [Proposed] Order 
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I T IS SO ORDERED. 
Dated: , 2026 
Honorable P. Casey Pitts 
United States District Court Judge
June 12

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