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Case :-cr-0-bas Document Filed 0/0/ PageID. Page of 0 0 MESEREAU LAW GROUP Thomas A. Mesereau, Jr., CSBN: 000 Santa Monica Blvd., Suite 00, Los Angeles, CA 00 Tel: (0) -0 Fax: (0) - Email: mesereau@mesereaulaw.com LAW OFFICES OF SHARON APPELBAUM, CSBN: 0 Wilshire Blvd., th Floor, 00 Tel: (0) -0 Fax: () 0- Email: sharon@sharonappelbaumlaw.com Attorneys for Ronald Grusd UNITED STATED DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA UNITED STATES OF AMERICA, ) CASE NO. CR-BAS Plaintiff, ) ) vs. ) RONALD GRUSD, et al, ) Defendants. ) DATE: April, 0 ) TIME: 0:00am TO THE HONORABLE JUDGE CYNTHIA BASHANT, TO LAURA E. DUFFY, UNITED STATES ATTORNEY FOR THE SOUTHERN DISTRICT OF CALIFORNIA, AND HER REPRESENTATIVES, AND COUNSEL FOR CO-DEFENDANTS: Please take notice that on April, 0, in the courtroom of the Honorable Judge Cynthia Bashant or as soon thereafter as may be heard, the defendants, DR. RONALD GRUSD, CALIFORNIA IMAGING NETWORK MEDICAL GROUP, AND WILLOWS CONSULTING COMPANY, by and through counsel, Thomas A. Mesereau, Jr. and, will move the Court for a continuance of the trial date. During the last court appearance, it was discussed that the parties would commence trial on June, 0. For the reasons stated below, that will not be sufficient time for the defense to prepare and we ask for a continuance until November 0, for the commencement of trial. Dated: March, 0 Respectfully submitted, Attorney for Dr. Ronald Grusd, and California Imaging Network Medical Group, and Willows Consulting Group

Case :-cr-0-bas Document Filed 0/0/ PageID. Page of 0 0 I. BACKGROUND This motion is being electronically filed at a term of the Court, held at the United States District Courthouse at West Broadway, San Diego, CA on March, 0, for an Order granting the Defendants, DR. RONALD GRUSD, CALIFORNIA IMAGING NETWORK MEDICAL GROUP, AND WILLOWS CONSULTING COMPANY, a continuance of the trial herein for a reasonable period of time to give counsel adequate time to prepare. Although current counsel s notice of appearance was granted in mid-october 0, due to issues with the Government s protective order and the amount of discovery having to be handled in digital form, defense counsel was not in receipt of the discovery materials until the end of the December 0. The Government told the defense to bring a two () terabyte hard drive to the December, 0, court appearance. The defense complied and after protective order issues were resolved during the appearance, the Government took custody of the drive, subsequently, made a digital copy of the discovery, and mailed the hard drive back to the defense shortly before the holidays. As a frame of reference, a two () terabyte hard drive can hold over a million documents and/ or hours and hours of recordings. After examining the hard drive in early January and locating the indices created by the Government in the major file folders, the defense team began listening and reviewing. It was determined that many documents needed to be printed for easier access. The defense is currently reviewing and analyzing the various documents and recordings, but due to the sheer amount of documentation and recordings, this process will take months. The Government has not given the defense an exhibit list or indicated which of the million plus files they intend to present to the jury at trial; it is imperative that the defense review all documentation and recordings in order to be sufficiently and appropriately prepared to effectively and adequately

Case :-cr-0-bas Document Filed 0/0/ PageID. Page of 0 represent the client. As the review is being accomplished, areas in need of investigation are being determined for proper trial preparation. We will need to complete our investigation, locate, speak with and prepare witnesses for trial. Additionally, the defense has recently learned of a defense that should be examined and raised at trial. The defense believes that there is a valid advice of counsel defense and has recently been allowed to speak to various lawyers that the Defendants consulted with on the topic of marketing by doctors and the legality of certain actions. The defense has only in the last week been allowed to speak with these attorneys and is planning to conduct a document review and document production of the various attorneys files to provide the Government and the co-defendant with reciprocal discovery for trial. That said, to date, the defense has not been allowed to look at the files yet and is in the process of planning the document production and review. On March, 0, Mr. Mesereau contacted the Government regarding the need for a continuance due to the volume of discovery and the advice of counsel defense that will be raised at trial. On March, 0, counsel contacted Donald J. Calabria, counsel for co-defendant, Gonzalo Paredes, and notified him about our request for a continuance and the advice of counsel defense we plan to raise at trial. He was unopposed to the request for a continuance. 0 I. LEGAL ARGUMENT As stated in the background portion of this motion, defendants, DR. RONALD GRUSD, CALIFORNIA IMAGING NETWORK MEDICAL GROUP, AND WILLOWS CONSULTING COMPANY, by and through counsel, Thomas A. Mesereau, Jr. and Sharon Appelbaum, request a continuance in order to review discovery, investigate certain information, locate and prepare witnesses for trial, prepare a defense and reciprocal discovery for trial, and to take such other further and necessary steps to adequately prepare defendant s case for trial, and for such other and further relief as

Case :-cr-0-bas Document Filed 0/0/ PageID. Page of 0 the Court may deem just and proper. See United States v. Poston, 0 F.d 0 (0) (denial of a continuance to allow new counsel to prepare implicates the right to counsel); United States v. Lingo, 0 F.d () (five factors which trial court must consider in deciding motion for continuance are nature of case; diligence of party requesting continuance; conduct of party opposing continuance; effect of continuance on parties; and asserted need for continuance); U.S.C. 00. The defense did not receive the discovery in this case from the Government until the end of December because of issues with the protective order. The Government did not turn over the discovery until the protective order was in place. Once received, the defense has been diligent in sorting through the sheer amount of paperwork in this complex case and spending hours and hours of listening to recordings. However, there is just too much data to review in the short time frame for the trial date currently set by the Court. The subject matter alone makes this case a complex matter. Having only had the discovery for two () months, counsel is now aware that the time consuming nature of the review will not be completed by the proposed trial date of June, 0. That date does not provide the defense with enough time to conduct the investigation needed to ascertain certain facts, to meet with and gather files from the various attorneys the defendants consulted with on marketing issues, to provide reciprocal discovery to the Government, and to locate and prepare witnesses for the trial. A trial set before November 0, would greatly disadvantage the defendants as they would not effectively and adequately be represented at trial. 0 DATED: March, 0 Respectfully submitted,

Case :-cr-0-bas Document Filed 0/0/ PageID. Page of 0 0 III. DECLARATION OF COUNSEL, SHARON APPELBAUM, IN SUPPORT OF I, Sharon Appelbaum, state:. That the trial of this case has been set for June, 0.. That in mid-october 0, the defendants retained the services of Thomas A. Mesereau, Jr. of the Mesereau Law Group as lead counsel, and Sharon Appelbaum, of the Law Offices of Sharon Appelbaum, as Mr. Mesereau s co-counsel, to represent them.. That the United States Attorney s Office for the Southern District of California would only turn over discovery after a protective ordered was signed by the defense.. That the defense voiced objection to that particular protective order and this issue was litigated between counsel s first appearance on the case and the court date of December, 0.. That on that court date in December 0, the defense gave a terabyte hard drive to the Government for them to copy the digital discovery.. That the Government copied and sent the drive back to the defense around the holidays at the end of the year.. That the defense has been diligent in reviewing the discovery which contains approximately millions of pages and hours upon hours of recordings and still has not made a sufficient dent in the review. The Government has not given the defense a proposed trial exhibit list or indicated how counsel should direct their review of the materials in effect making it imperative for the defense to thoroughly analyze all materials on the drive.. That the defense has recently discovered a valid advice of counsel defense that must be presented on behalf of the defendants for advice received by defendants regarding marketing legalities.. That in order to properly prepare and present the defense, counsel must meet with and gather files from the various attorneys the defendants consulted with and produce many of these files to the Government in advance of trial. 0. That investigation, location, and preparation of witnesses must also be conducted to effectively and adequately represent the clients during trial.. That Mr. Mesereau contacted the Assistant United States Attorneys prosecuting this case and alerted them to this request for a continuance and the advice of counsel defense to be raised at trial.. That counsel has contacted the attorney for co-defendant, Gonzalo Paredes, Donald J. Calabria, and he is not opposed to this motion for a continuance.

Case :-cr-0-bas Document Filed 0/0/ PageID. Page of. Defendants have exercised their rights to obtain counsel who they believe will benefit them most at a trial on this case.. Counsel is already diligently preparing for trial and reviewing the voluminous documentation, notes of investigation, witness interviews, billing statements, prior testimony, recordings, and state Grand Jury exhibits in the current period allotted by the Court. I declare under penalty of perjury that the foregoing is true and correct. DATED: March, 0 LAW OFFICES OF SHARON APPELBAUM 0 0

Case :-cr-0-bas Document Filed 0/0/ PageID. Page of IV. CONCLUSION WHEREFORE, in light of the volume and complexity of the discoverable material, the defense that needs to be explored and reciprocal discovery collected and given to the Government, counsel respectfully requests that this case be continued until November 0, to give defense counsel an adequate and fair opportunity to prepare the defense of this case. 0 0 DATED: March, 0 Respectfully submitted, LAW OFFICES OF SHARON APPELBAUM 0 Wilshire Blvd., th Floor 00 Tel: (0) -0 Fax: () 0- Email: sharon@sharonappelbaumlaw.com MESEREAU LAW GROUP Thomas A. Mesereau, Jr. 000 Santa Monica Blvd., Suite 00 Los Angeles, CA 00 Tel: (0) -0 Fax: (0) - Email: mesereau@mesereaulaw.com Attorneys for Dr. Ronald Grusd, and California Imaging Network Medical Group, and Willows Consulting Group

Case :-cr-0-bas Document Filed 0/0/ PageID. Page of 0 UNITED STATED DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA UNITED STATES OF AMERICA, ) CASE NO. CR-BAS Plaintiff, ) ) vs. ) CERTIFICATE OF SERVICE ) RONALD GRUSD, et al, ) Defendants. ) ) IT IS HEREBY CERTIFIED THAT: I, Sharon Appelbaum, am a citizen of the United States and am at least eighteen years of age. My business address is 0 Wilshire Blvd., th Floor, 00. I am not a party to the above-captioned action. I have filed with the Court and caused service of the MOTION FOR A CONTINUANCE on the parties listed on ECF by electronically filing the foregoing with the Clerk of the District Court using its ECF System, which electronically notifies them. I declare under penalty of perjury that the foregoing is true and correct. Executed on March, 0. 0