Filed: Aug. 01, 2018
Latest Update: Aug. 01, 2018
Summary: STIPULATION AND [PROPOSED] ORDER RESETTING SENTENCING DATE GARLAND E. BURRELL, JR. , Senior District Judge . IT IS HEREBY STIPULATED by and between the parties hereto though their respective counsel, Audrey Hemesath, Assistant United States Attorney, and Dustin D. Johnson, Counsel for GEORGE B. LARSEN, that: 1. By previous order, this matter was set for sentencing on August 3, 2018. 2. By stipulation, the parties now move to continue sentencing to August 17, 2018. 3. The Defense needs a
Summary: STIPULATION AND [PROPOSED] ORDER RESETTING SENTENCING DATE GARLAND E. BURRELL, JR. , Senior District Judge . IT IS HEREBY STIPULATED by and between the parties hereto though their respective counsel, Audrey Hemesath, Assistant United States Attorney, and Dustin D. Johnson, Counsel for GEORGE B. LARSEN, that: 1. By previous order, this matter was set for sentencing on August 3, 2018. 2. By stipulation, the parties now move to continue sentencing to August 17, 2018. 3. The Defense needs ad..
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STIPULATION AND [PROPOSED] ORDER RESETTING SENTENCING DATE
GARLAND E. BURRELL, JR., Senior District Judge.
IT IS HEREBY STIPULATED by and between the parties hereto though their respective counsel, Audrey Hemesath, Assistant United States Attorney, and Dustin D. Johnson, Counsel for GEORGE B. LARSEN, that:
1. By previous order, this matter was set for sentencing on August 3, 2018.
2. By stipulation, the parties now move to continue sentencing to August 17, 2018.
3. The Defense needs additional time to prepare for sentencing by, inter alia, preparing formal objections and sentencing memorandum.
4. The prosecutor has no objection.
IT IS SO STIPULATED.
The prosecutor has authorized defense counsel to sign this stipulation on her behalf.
Defense counsel attempted to contact the probation officer regarding the proposed change on Friday, July 27, 2018 but was unable to. On Monday, July 30, 2018, defense counsel contacted the probation office and was informed the probation officer is out of the office through at least this week as is her supervisor. Because of the time sensitive nature of this request, defense counsel is submitting this request with the understanding that, if the date is not good for the probation officer, the date will be adjusted. Defense counsel has reviewed this plan with the prosecutor.
The following briefing schedule is based on the new Judgement and Sentencing Date of August 17, 2018:
• Reply, or Statement of Non-Opposition: AUGUST 10, 2018
• Motion for Correction of the Presentence Report shall be filed with the Court and served on the Probation Officer and opposing counsel no later than: AUGUST 3, 2018
The FINAL Presentence Report was disclosed to counsel on JULY 11, 2018.
ORDER
It is so ordered.