Opinion
No. 1:09-cr-00104 LJO
08-12-2011
ROBERT L. FORKNER Attorney for Defendant NOEL CASTILLO KAREN A. ESCOBAR Assistant United States Attorney
ROBERT L. FORKNER (CSB#166097)
Law Offices of Robert L. Forkner
Attorney for Defendant
NOEL CASTILLO
STIPULATION AND ORDER
Defendant NOEL CASTILLO, through his attorney ROBERT L. FORKNER, and the United States, through its counsel, Assistant United States Attorney KAREN A. ESCOBAR, hereby stipulate and request the following:
1. That the Court continue the sentencing in the above-captioned case from August 26, 2011, to September 23, 2011, at 9:00 a.m.
2. The defense has requested the continuance due to his unavailability and to allow the defendant to resolve and finalize personal matters before he is sentenced and transported to a Federal Prison.
Respectfully submitted,
ROBERT L. FORKNER
Attorney for Defendant
NOEL CASTILLO
KAREN A. ESCOBAR
Assistant United States Attorney
ORDER
Good Cause exists for the request and stipulation to continue. IT IS SO ORDERED.
Lawrence J. O'Neill
UNITED STATES DISTRICT JUDGE