Opinion
1:18-CR-00253 ADA-BAM
02-15-2023
PHILLIP A. TALBERT United States Attorney, KAREN A. ESCOBAR Assistant United States Attorney, Attorneys for Plaintiff United States of America. KAREN A. ESCOBAR Assistant United States Attorney. PETER M. JONES Counsel for Defendant TAN MINH VO.
PHILLIP A. TALBERT United States Attorney, KAREN A. ESCOBAR Assistant United States Attorney, Attorneys for Plaintiff United States of America.
KAREN A. ESCOBAR Assistant United States Attorney.
PETER M. JONES Counsel for Defendant TAN MINH VO.
AMENDED STIPULATION REGARDING RESETTING SENTENCING; ORDER
Plaintiff United States of America, by and through its counsel of record, and defendant, by and through defendant's counsel of record, hereby stipulate as follows:
1. By previous order, this matter was set for sentencing on March 13, 2023.
2. By this stipulation, the parties agree to reset sentencing for March 27, 2023, at 8:30 a.m., to accommodate counsel for the government's unavailability on March 20, 2023 due to business travel.
3. The parties further stipulate to the following revised presentence schedule:
Filing of informal objections to draft presentence report: February 20, 2023
Judgment and Sentencing Dated: March 27, 2023
Reply or Statement of Non-Opposition: March 20, 2023
Formal Objections to the Presentence Report shall be filed with the Court and
served on the Probation Officer and opposing counsel no later than: March 13, 2023
The final Presentence Report shall be filed with the Court and disclosed to counsel no later than: March 6, 2023
Counsel's informal written objections to the Presentence Report shall be delivered to the Probation Officer and opposing counsel no later than: February 27, 2023
IT IS SO ORDERED.