Opinion
KEVIN V. RYAN (CASBN 118321), United States Attorney, MARK L. KROTOSKI (CASBN 138549), Chief, Criminal Division, ROBERT DAVID REES (CASBN 229441), Assistant United States Attorney, San Francisco, California, Attorneys for Plaintiff.
MARK IVERSON, ESQ., Attorney for Defendant.
STIPULATION AND [PROPOSED] ORDER CONTINUING SENTENCING DATE.
CHARLES R. BREYER, District Judge.
The parties hereby stipulate that sentencing in this matter be continued from Wednesday, January 10, 2007 at 2:15PM to an available date in late March 2007. The reasons for the stipulation for the continuance request are as follows:
Due to a miscommunication, U.S. Probation did not receive information regarding Mr. Cofield until a few weeks before the Presentence Report ("PSR") was due. Additionally, due to staffing issues, U.S. Probation reports that it will take approximately three more months from now to complete Mr. Cofield's PSR.
Accordingly, the parties submit that good cause exists to continue the sentencing hearing and the consequent due date for the filing of sentencing memoranda until a point Stipulation and Order Continuing Sentencing Date, CR in late March 2007.
IT IS SO STIPULATED.
Based on the facts and representations set forth above, the Court HEREBY ORDERS that the sentencing hearing is continued from January 10, 2007 to March __, 21 2007 at 2:15PM. The Court FURTHER ORDERS that the due date for the parties' sentencing memoranda is also continued to a date one week before the March __, 21 2007 sentencing hearing.