USA v. Quinonez-Soto et al
Criminal

Middle District of Florida, flmd-8:2017-cr-00355-339530

STATUS REPORT Joint by USA as to Brian Quinonez-Soto, Reyandra Camorlinga

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PageID 86 UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION UNITED STATES OF AMERICA v. CASE NO. 8:17-cr-355-T-35TGW BRIAN QUINONEZ-SOTO and REYANDRA CAMORLINGA JOINT STATUS REPORT The United States of America, by W. Stephen Muldrow, Acting United States Attorney for the Middle District of Florida, files with this Court, pursuant to Fed. R. Crim. P. 17.1, the following status report. In response to the inquiries in the Court's discovery order, the United States has conferred with defense counsel and herein states as follows: 1. Brief summary of the case's status: The defendants were indicted in a five-count indictment in July of 2017. Count One charges conspiracy to distribute and to possess with the intent to distribute 50 grams or more of methamphetamine (actual). Counts Two through Five charge distribution of particular weights of methamphetamine (actual). Mr. Quinonez-Soto is charged in every count of the Indictment. Ms. Camorlinga is only charged in Counts One and Two. Pursuant to the parties' agreement, the United States will provide discovery, which is expected PageID 87 to be voluminous, by Septemeber 19, 2017. 2. Possibility of a plea agreement: It is too soon to tell how this case will be resolved. 3. Number of days required for trial, for government's case-in-chief: It is estimated the United States would require five days to present its case-in-chief. 4. Pending motions, dates on which they were filed, and whether they are ripe for determination: Ms. Camorlinga currently has a pending unopposed motion to continue the trial until the February 2018 calendar. Mr. Quinonez-Soto will soon file a similar motion. 5. Potential speedy trial problems: There are no speedy trial problems: the case is on the October trial term, and speedy trial does not run until October 20, 2017, at the earliest. 2 PageID 88 I have consulted with the the defendants' attorneys prior to the filing of this joint status report and have received authorization to file this report with the Court. This report is being filed early because of the travel schedules of the attorneys in this case. Respectfully submitted, W. STEPHEN MULDROW Acting United States Attorney By: /s/ Gregory T. Nolan GREGORY T. NOLAN Assistant United States Attorney United States Attorney No.: 163 400 N. Tampa Street, Suite 3200 Tampa, Florida 33602-4798 Telephone: (813) 274-6000 Facsimile: (813) 274-6358 E-mail: gregory.nolan@usdoj.gov 3 PageID 89 U.S. v. Brian Quinonez-Soto, et al. Case No. 8:17-cr-355-T-35TGW CERTIFICATE OF SERVICE I hereby certify that on August 28, 2017, I electronically filed the foregoing with the Clerk of the Court by using the CM/ECF system which will send a notice of electronic filing to the following: David Little, Esq. Matthew Luka, Esq. /s/ Gregory T. Nolan GREGORY T. NOLAN Assistant United States Attorney United States Attorney No.: 163 400 N. Tampa Street, Suite 3200 Tampa, Florida 33602-4798 Telephone: (813) 274-6000 Facsimile: (813) 274-6358 E-mail: gregory.nolan@usdoj.gov \\usaflmsfile21.usa.doj.gov\Users\_Cases\Criminal Cases\Q\Quinonez-Sota, Bryan_2017R01551_GTN\p_Status Report_September 2017.docx 4