Opinion
2:21-cr-00167-RFB-NJK
08-17-2022
JASON M. FRIERSON, United States Attorney PETER S. LEVITT Assistant United States Attorney. MACE J. YAMPOLSKY, ESQ. Counsel for Defendant.
JASON M. FRIERSON, United States Attorney PETER S. LEVITT Assistant United States Attorney.
MACE J. YAMPOLSKY, ESQ. Counsel for Defendant.
STIPULATION TO CONTINUE SENTENCING (FOURTH REQUEST)
RICHARD F. BOULWARE, II United States District Judge.
It is hereby stipulated and agreed, by and between Jason M. Frierson, United States Attorney; by and through Peter S. Levitt, Assistant United States Attorney, counsel for the United States of America and Mace J. Yampolsky, Esq., counsel for Defendant Karen Arcotta, that the sentencing in this matter scheduled in this matter for August 22, 2022, be vacated and continued for a period of no less than sixty days. This stipulation is entered into for the following reasons:
1. On June 22, 2021, the Defendant pied guilty to Counts 1 and 2 of the Criminal Information, and she is currently scheduled to be sentenced on August 22, 2022;
2. The parties agree to the continuance;
3. Defendant is not in custody and does not object to the continuance;
4. Counsel for the Defendant has a Domestic Violence Trial that morning.
5. Counsel received the Presentence Report the morning of August 17, 2022.
6. This is the fourth request for a continuance.
ORDER
Based upon the foregoing, and good cause appearing; it is hereby ordered the sentencing in the above-captioned matter currently scheduled for August 22, 2022, be vacated and continued for no less than sixty days, and shall be heard on January 5, 2023 at 9:00 AM in LV Courtroom 7C.