Opinion
No. 1:09-CR-00317-AWI
07-26-2012
ROBERT L. FORKNER Attorney for Defendant MIGUEL S. FELIX BENJAMIN B. WAGNER United States Attorney KATHLEEN A. SERVATIUS Assistant U.S. Attorney
ROBERT L. FORKNER (CSB# 166097)
Law Offices of Robert L. Forkner
Attorney for Defendant
MIGUEL S. FELIX
STIPULATION AND ORDER FOR
CONTINUANCE OF SENTENCING
Defendant, MIGUEL S. FELIX, through his attorney ROBERT L. FORKNER, together with the United States of America through its undersigned counsel, KATHLEEN A. SERVATIUS, Assistant United States Attorney, hereby stipulate and request the following:
1. That the Sentencing presently set for July 30, 2012 be vacated and rescheduled for September 24, 2012 at 9:00 a.m. in Courtroom 2 before the Honorable Chief District Court Judge, Anthony W. Ishii.
STIPULATION AND ORDER
2. Defense Counsel has just returned from a 3 week vacation and has not been able to meet with Mr. Felix because the Presentencing Report was received while Defense counsel was on vacation. A continuance is requested in order to allow a complete review of the Report from Probation with the defendant, and to file the necessary objections before the currently scheduled date.
For these reasons, the parties stipulate and request that the Court exclude time within which the trial must commence under the Speedy Trial Act from July 30, 2012 through September 24, 2012, for defense preparation under 18 U.S.C. § 3161(h)(8)(B)(ii) and (iv). IT IS SO STIPULATED.
____________
ROBERT L. FORKNER
Attorney for Defendant
MIGUEL S. FELIX
BENJAMIN B. WAGNER
United States Attorney
by: ____________
KATHLEEN A. SERVATIUS
Assistant U.S. Attorney
IT IS SO ORDERED.
________________________
CHIEF UNITED STATES DISTRICT JUDGE