Opinion
No. CR-11-00558-LHK CR-11-00559-LHK
03-25-2013
UNITED STATES OF AMERICA, Plaintiff, v. LORENZO ISRAEL GARCIA, Defendants.
Jack Gordon Attorney for Def. Garcia Thomas O'Connell Assistant U.S. Attorney
JACK GORDON; SBN 16 9380
1885 The Alameda, Suite 214
San Jose, CA 95126
Tel. (408)286-1351
Attorney for Defendant,
Lorenzo Garcia
STIPULATION TO CONTINUE
AND EXCLUDE TIME; PROPOSED ORDER
THE ABOVE LISTED PARTIES STIPULATE AS FOLLOW:
Defendant Garcia is scheduled to be sentenced before the Honorable Lucy H. Koh on 3/27/13 at 9:00 a.m. The parties require a continuance to allow for the completion of the U.S. Probation pre-sentencing report. After communications with the parties and the United States Probation Officer preparing the report it appears that June 5, 2013 would be an appropriate date for sentencing.
The parties respectfully request that the Court continue Garcia's sentencing from March 27, 2013 to June 5, 2013 at 9:00 a.m.
IT IS SO STIPULATED
______________________
Jack Gordon
Attorney for Def. Garcia
______________________
Thomas O'Connell
Assistant U.S. Attorney
[PROPOSED] ORDER
Having considered the stipulation of the parties, and good cause appearing, the Court orders that the sentencing hearing for defendant Lorenzo Garcia be continued from March 27, 2013 to May 29, 2013 at 9:00 a.m. and that the intervening time be excluded under The Speedy Trial Act. IT IS SO ORDERED.
______________________
The Honorable Lucy Koh
District Court Judge