Opinion
2:21-cr-017 JAM
02-28-2023
By Todd D. Leras for SAM STEFANKI Assistant United States Attorney By Todd D. Leras TODD D. LERAS Attorney for Defendant IAN HOFFMANN
By Todd D. Leras for SAM STEFANKI Assistant United States Attorney
By Todd D. Leras TODD D. LERAS Attorney for Defendant IAN HOFFMANN
ORDER TO CONTINUE SENTENCING HEARING AND MODIFY PRE-SENTENCE INVESTIGATION REPORT DISCLOSURE SCHEDULE
THE HONORABLE JOHN A. MENDEZ SENIOR UNITED STATES DISTRICT JUDGE
This matter is presently set for a Sentencing Hearing on February 28, 2023. The parties to this action, Plaintiff United States of America by and through Assistant U.S. Attorney Sam Stefanki and Attorney Todd D. Leras on behalf of Defendant Ian Hoffmann, submit this request to continue the Sentencing Hearing in this matter to June 6, 2023. Defendant has completed his probation interview. The probation officer requires additional time to complete the Pre-Sentence Investigation Report (PSR) and has confirmed her availability on the requested date. The government, defense counsel, and the probation officer propose to modify the PSR disclosure schedule as follows:
1. Draft PSR Disclosure Dated: April 25, 2023;
2. Informal Objections to Draft PSR: May 9, 2023;
3. Final PSR Dated: May 16, 2023;
4. Motion for Correction Dated: May 23, 2023; and
5. Reply Dated: May 30, 2023.
This request follows a guilty plea so an exclusion of time pursuant to the Speedy Trial
Act is not required. Assistant U.S. Attorney Sam Stefanki approved of the proposed dates and authorized Todd D. Leras via email to sign this Stipulation on his behalf.
ORDER
The Sentencing Hearing for this matter, set for February 28, 2023, is vacated. The Sentencing Hearing in this matter is continued to June 6, 2023, at 9:00 a.m. The Court adopts the Pre-Sentence Investigation Report Disclosure Schedule proposed by the parties.
IT IS SO ORDERED.