Skip navigation

U.S. v. Aviles, No. 96-10110 (9th Cir.) (170 F.3d 863) (March 15, 1999) (Judge John T. Jr. Noonan)

This decision slightly amended the Court's previous ruling about the number of days of excludable time that passed - which were not to be counted against the speedy trial clock - from 887 days to a mere 847 days - still more than 2 years.

 

Full article and associated cases available to subscribers.

As a digital subscriber to Punch and Jurists, you can access full text and downloads for this and other premium content.

Subscribe today

Already a subscriber? Login