Opinion
Case No. 2:09-cr-00421 GEB
01-09-2013
DOUGLAS I. HORNGRAD Attorney at Law Attorney for Defendant VI TRUONG with consent JASON HITT Assistant United States Attorney with consent LISA HAGE United States Probation Officer
DOUGLAS I. HORNGRAD
Attorney at Law
Attorney for Defendant
VI TRUONG
STIPULATION AND [PROPOSED]
ORDER RESCHEDULING PARTIES'
APPEARANCE
IT IS RESPECTFULLY REQUESTED, by defendant Vi Truong and plaintiff United States of America, through their respective counsel, on behalf of the United States Probation Office, that the Court vacate the currently scheduled date of February 8, 2013, at 9:00 a.m., and reset it for March 8, 2013, at 9:00 a.m. This request is made on the grounds that the United States Probation Office requests additional time to gather further information in Mr. Truong's case.
IT IS SO STIPULATED
______________________
DOUGLAS HORNGRAD
Attorney for Defendant
VI TRUONG
with consent
JASON HITT
Assistant United States Attorney
with consent
LISA HAGE
United States Probation Officer
ORDER
IT IS SO ORDERED.
______________________
GARLAND E. BURRELL, JR.
Senior United States District
Judge