Opinion
2:19-cr-00022-JCM-VCF
08-28-2023
LANCE J. HENDRON, ESQ Nevada Bar No. 11151 HENDRON LAW GROUP LLC Attorney for Defendant, Edgar Del Rio FOR THE GOVERNMENT U.S. DEPARTMENT OF JUSTICE CONSUMER PROTECTION BRANCH AMANDA N. LISKAMM Director U.S. ATTORNEY'S OFFICE FOR THE DISTRICT OF NEVADA JASON M. FRIERSON United States Attorney TIMOTHY FINLEY DANIEL ZYTNICK Trial Attorneys FOR THE DEFENDANT HENDRON LAW GROUP LLC Lance J. Hendron, Esq. Nevada Bar No. 11151 U.S. DEPARTMENT OF JUSTICE HENDRON LAW GROUP LLC CONSUMER PROTECTION BRANCH Lance j. Hendron AMANDA N. LISKAMM Lance J. Hendron, Esq.
LANCE J. HENDRON, ESQ Nevada Bar No. 11151 HENDRON LAW GROUP LLC Attorney for Defendant, Edgar Del Rio
FOR THE GOVERNMENT U.S. DEPARTMENT OF JUSTICE CONSUMER PROTECTION BRANCH AMANDA N. LISKAMM Director
U.S. ATTORNEY'S OFFICE FOR THE DISTRICT OF NEVADA JASON M. FRIERSON United States Attorney
TIMOTHY FINLEY DANIEL ZYTNICK Trial Attorneys
FOR THE DEFENDANT HENDRON LAW GROUP LLC Lance J. Hendron, Esq. Nevada Bar No. 11151
U.S. DEPARTMENT OF JUSTICE HENDRON LAW GROUP LLC
CONSUMER PROTECTION BRANCH Lance j. Hendron
AMANDA N. LISKAMM Lance J. Hendron, Esq.
STIPULATION TO CONTINUE SENTENCING (TENTH REQUEST)
HONORABLE JAMES C. MAHAN, UNITED STATES DISTRICT JUDGE
IT IS HEREBY STIPULATED AND AGREED by the United States, by and through its counsel of record, and defendant Edgar Del Rio, by and through his counsel of record, that the sentencing hearing set for August 30, 2023, at 10:00 a.m. be continued to be continued to a date and time convenient to the Court, but in no event earlier than sixty (60) days. This stipulation is entered into for the following reasons:
1. That counsel for Mr. Del Rio requests additional time to gather information and material in support of his sentencing;
2. That Mr. Del Rio, who is not in custody, agrees to the continuance;
3. That both counsel for Mr. Del Rio and the prosecutor who was prepared and available to handle the sentencing hearings are now unavailable due to urgent family medical issues.
4. That denial of this request for continuance could result in a miscarriage of justice; and
5. In addition, the continuance sought is not for delay and the ends of justice are in fact served by the granting of such continuance which outweigh any interest of the public and Mr. Del Rio in proceeding with sentencing on August 30, 2023.
This is the tenth stipulation to continue in this case.
STIPULATION TO CONTINUE SENTENCING DATE (TENTH REQUEST)
Based on the pending Stipulation between Mr. Del Rio and the government, and good cause appearing therefore, the Court hereby finds that:
1. That counsel for Mr. Del Rio requests additional time to gather information and material in support of his sentencing;
2. That Mr. Del Rio, who is not in custody, agrees to the continuance;
3. That both counsel for Mr. Del Rio and the prosecutor who was prepared and available to handle the sentencing hearings are now unavailable due to urgent family medical issues.
4. That denial of this request for continuance could result in a miscarriage of justice; and
5. In addition, the continuance sought is not for delay and the ends of justice are in fact served by the granting of such continuance which outweigh any interest of the public and Mr. Del Rio in proceeding with sentencing on August 30, 2023.
THEREFORE, IT IS HEREBY ORDERED that the sentencing hearing currently scheduled for August 30, 2023 at 10:00 a.m., be vacated and continued to November 6, 2023, at 11:00 a.m.