United States First Circuit

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US v. Handa, 17-1961

Affirming the dismissal of an added charge in a superseding indictment on Sixth Amendment speedy trial grounds because the speedy trial clock starts from the filing of the original indictment in the case of a man whose bankruptcy led to his commission of wire fraud, flight from the country, and the filing of additional charges during the long period in which government agents arrange for him to return to the country for prosecution.

Appellate Information

  • Argued
  • Submitted
  • Decided
  • Published 2018/06/08




  • United States First Circuit


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