U.S. v. Esquibel, 2:15-CR-00164 TLN. (2018)
Court: District Court, E.D. California
Number: infdco20180418916
Visitors: 13
Filed: Apr. 17, 2018
Latest Update: Apr. 17, 2018
Summary: STIPULATION AND ORDER TO CONTINUE SENTENCING HEARING TROY L. NUNLEY , District Judge . The parties to this action, Plaintiff United States of America by and through Assistant U.S. Attorney Samuel Wong, and attorney Michael E Hingle on behalf of defendant Secundino Esquibel, stipulate and submit this request to continue the dates presently set for judgment and sentencing in the above — referenced matter from April 19, 2018, at 9:30 A.M to July 26, 2018 at 9:30 A.M. The defense needs addition
Summary: STIPULATION AND ORDER TO CONTINUE SENTENCING HEARING TROY L. NUNLEY , District Judge . The parties to this action, Plaintiff United States of America by and through Assistant U.S. Attorney Samuel Wong, and attorney Michael E Hingle on behalf of defendant Secundino Esquibel, stipulate and submit this request to continue the dates presently set for judgment and sentencing in the above — referenced matter from April 19, 2018, at 9:30 A.M to July 26, 2018 at 9:30 A.M. The defense needs additiona..
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STIPULATION AND ORDER TO CONTINUE SENTENCING HEARING
TROY L. NUNLEY, District Judge.
The parties to this action, Plaintiff United States of America by and through Assistant U.S. Attorney Samuel Wong, and attorney Michael E Hingle on behalf of defendant Secundino Esquibel, stipulate and submit this request to continue the dates presently set for judgment and sentencing in the above — referenced matter from April 19, 2018, at 9:30 A.M to July 26, 2018 at 9:30 A.M. The defense needs additional time to draft and submit materials in support of its sentencing requests as allowed under the express terms of the plea agreement.
The government does not oppose the request and the assigned probation officer is available to appear on the requested dates. This date is the same date recently approved by the Court as to co-defendant Moises Torres. It is therefore requested that the Court continued its previously-set Sentencing in the above-referenced matter until July 26, 2018.
This Request follows a guilty plea so an exclusion of time pursuant to the Speedy Trial Act is not required. Assistant U.S. Attorney Samuel Wong has reviewed this stipulation and proposed order and authorized Michael E. Hingle to sign it on his behalf.
ORDER
The Judgment and Sentencing Hearing in this matter is continued to July 26, 2018, at 9:30 AM.
IT IS SO ORDERED.
Source: Leagle