Opinion
2:20-cr-286 JCM
10-23-2023
Lisa A. Rasmussen, Esq. THE LAW OFFICES OF KRISTINA WILDEVELD & ASSOCIATES Attorneys for Defendant Karen Chapon JASON FRIERSON, United States Attorney District of Nevada JESSICA OLIVA Assistant United States Attorney
Lisa A. Rasmussen, Esq. THE LAW OFFICES OF KRISTINA WILDEVELD & ASSOCIATES Attorneys for Defendant Karen Chapon
JASON FRIERSON, United States Attorney District of Nevada JESSICA OLIVA Assistant United States Attorney
STIPULATION TO CONTINUE SENTENCING HEARING
The Honorable James C. Mahan United States District Judge
The parties, Karen Chapon, by and her counsel, Lisa A. Rasmussen, Esq., and the United States, by and through its counsel, Assistant United States Attorney Jessica Oliva, hereby stipulate as follows:
1. Defense counsel has just appeared in this case and needs additional time to prepare for sentencing.
2. The government has no objection to this.
3. No prior requests to extend the date for sentencing have been made.
4. Sentencing is presently scheduled for November 29, 2023. The parties propose January 12, 2024 and this date appears to work for the Court as well.
5. Ms. Chapon is on pretrial release and is not opposed to this request.
6. Denial of this request would cause prejudice to both the government and the defendant
ORDER
Pursuant to the Stipulation of the parties, and good cause appearing, IT IS FURTHER ORDERED that the Sentencing hearing: presently scheduled for November 29, 2023 shall be vacated and reset as follows to January 12, 2024 at 10:00 a.m.