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United States v. Castro

UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA
Oct 7, 2011
CASE NO. 2:07-CR-00248-09 WBS (E.D. Cal. Oct. 7, 2011)

Opinion

CASE NO. 2:07-CR-00248-09 WBS

10-07-2011

UNITED STATES OF AMERICA, Plaintiff, v. BENJAMIN SANTOS CASTRO, Defendant.

BENJAMIN WAGNER United States Attorney Scott Cameron, for William Wong Assistant U.S. Attorney Scott N. Cameron Counsel for BENJAMIN SANTOS CASTRO


Scott N. Cameron (SBN 226605)

Attorney at Law

Attorney for:

BENJAMIN SANTOS CASTRO

STIPULATION AND [PROPOSED] ORDER

MODIFYING PRE-SENTENCE REPORT

DISCLOSURE SCHEDULE FOR DEFENDANT

BENJAMIN SANTOS CASTRO


Stipulation

The parties, through undersigned counsel, stipulate that, as to defendant Benjamin Santos Castro, the disclosure schedule for the pre-sentence report, and objections thereto, may be modified as detailed below.

Due to the complexities of this case, the proposed pre-sentence report was not disclosed by the Probation Department on the date originally set. Moreover, due to the volume of discovery, and number of issues, the parties will require more time to prepare objections than is ordinarily provided in a pre-sentence report disclosure and briefing schedule.

As such, the parties agree to the following schedule for the disclosure of the pre-sentence report and objections:

+----------------------------------------------------------------+ ¦Proposed PSR to Counsel: ¦Completed ¦ +----------------------------------------------+-----------------¦ ¦Counsel's Written Obj's to Probation: ¦October 24, 2011 ¦ +----------------------------------------------+-----------------¦ ¦Presentence Report Filed With Court: ¦November 7, 2011 ¦ +----------------------------------------------+-----------------¦ ¦Motion for Corrections to PSR: ¦November 21, 2011¦ +----------------------------------------------+-----------------¦ ¦Reply or Statement of Non-Opposition: ¦November 28, 2011¦ +----------------------------------------------+-----------------¦ ¦Evidentiary Hearing (already set/no change): ¦December 6, 2001 ¦ +----------------------------------------------------------------+

The prosecutor has authorized defense counsel to sign this stipulation on his behalf.

BENJAMIN WAGNER

United States Attorney

by Scott Cameron, for

William Wong

Assistant U.S. Attorney

Scott N. Cameron

Counsel for BENJAMIN SANTOS CASTRO

Order

Good cause appearing,

The schedule for the disclosure of the pre-sentence report, and objections thereto, is modified as set forth in the above-stated stipulation.

IT IS SO ORDERED.

WILLIAM B. SHUBB

UNITED STATES DISTRICT JUDGE


Summaries of

United States v. Castro

UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA
Oct 7, 2011
CASE NO. 2:07-CR-00248-09 WBS (E.D. Cal. Oct. 7, 2011)
Case details for

United States v. Castro

Case Details

Full title:UNITED STATES OF AMERICA, Plaintiff, v. BENJAMIN SANTOS CASTRO, Defendant.

Court:UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA

Date published: Oct 7, 2011

Citations

CASE NO. 2:07-CR-00248-09 WBS (E.D. Cal. Oct. 7, 2011)