Opinion
No. CR. S-10-211 GEB
01-30-2013
UNITED STATES OF AMERICA, Plaintiff, v. CEDRIC ROBERSON, et al., Defendants.
BRUCE LOCKE (#177787) Moss & Locke Attorneys for CEDRIC ROBERSON
BRUCE LOCKE (#177787)
Moss & Locke
Attorneys for
CEDRIC ROBERSON
STIPULATION TO AMEND
MR. ROBERSON'S DATE FOR
SELF-SURRENDER FROM
FEBRUARY 1, 2013 to February 8,
2013
IT IS HEREBY STIPULATED AND AGREED between Cedric Roberson, by and through his undersigned defense counsel, and the United States of America, by and through its counsel, Assistant U.S. Attorney Jared Dolan, that the date for Mr. Roberson to self-surrender to the facility designated by the Bureau of Prisons should be changed from February 1, 2013 to February 8, 2013. The reason for the change is that Mr. Roberson is the care-taker and guardian ad litum of two minors who have lived with him and his mother for several years. Mr. Roberson is in the process of arranging a place to live for each of the girls. This requires that he obtain school and medical records so that their new schools and day-care centers will accept them. Due to his limited means and limited support from him family, Mr. Roberson needs another week to get the two girls situated. Mr. Roberson understands that this is the absolute last extension that he will receive and he understands that he must self-surrender on February 8, 2013 or he will face additional charges that could lead to a prison term that would be consecutive to the term that he is now facing. Mr. Dolan has authorized Mr. Locke to sign this pleading for him.
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BRUCE LOCKE
Attorney for Cedric Roberson
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For JARED DOLAN
Attorney for the United States
IT IS SO ORDERED.
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GARLAND E. BURRELL, JR.
Senior United States District Judge