Opinion
3:12-cr-00112-LRH-VPC
01-06-2023
UNITED STATES OF AMERICA, Plaintiff, v. MATTHIAS HADDOCK, Defendant
RENE L. VALLADARES Federal Public Defender JASON M. FRIERSON United States Attorney JOY CHEN Assistant Federal Public Defender Counsel for Matthias Haddock ROBERT L. ELLMAN Assistant United States Attorney Counsel for the United States
RENE L. VALLADARES
Federal Public Defender
JASON M. FRIERSON
United States Attorney
JOY CHEN
Assistant Federal Public Defender
Counsel for Matthias Haddock
ROBERT L. ELLMAN
Assistant United States Attorney
Counsel for the United States
ORDER GRANTING STIPULATION TO EXTEND TIME FOR GOVERNMENT'S RESPONSE TO DEFENDANT'S MOTION FOR ORDER REDUCING SENTENCE OR MODIFYING JUDGMENT
(FIRST REQUEST)
IT IS HEREBY STIPULATED AND AGREED, by and between Assistant United States Attorney Robert L. Ellman, counsel for the United States of America; and Assistant Federal Public Defender Joy Chen, counsel for Matthias Haddock, that the government's response to Mr. Haddock's Motion for Order Reducing Sentence or Modifying Judgment (ECF No. 74) be extended to and including January 27, 2023.
This stipulation is entered into for the following reasons:
1. Mr. Haddock filed his supplemental motion on December 29, 2022. ECF No. 74.
2. The government's response is currently due on January 13, 2023. ECF No. 72.
3. Undersigned counsel is the newly-appointed chief of the appellate division at the U.S. Attorney's Office for the District of Nevada. In addition to handling criminal appeals, the appellate division is responsible for litigating some of the compassionate release motions, including the motion filed in this case.
4. With the former appellate chief's departure on December 16, 2022, the appellate division is down one full-time AUSA (from five to four). This circumstance has increased the workload of the remaining appellate AUSAs.
5. Undersigned counsel has assigned the responsibility for this matter to himself, based on the temporarily heightened workloads of appellate division AUSAs. Government counsel believes he will need additional time, to and including January 27, 2023, to adequately review the motion and prepare the government's response.
6. Undersigned counsel assures the Court that he has been diligent and does not seek this extension for purposes of delay.
7. Mr. Haddock's counsel consents to this extension of time.
This is the government's first request for an extension of time to file its response in this matter.
ORDER
Based on the Stipulation of counsel and good cause appearing, IT IS THEREFORE ORDERED that the government's response to Defendant's Motion for Order Reducing Sentence or Modifying Judgment (ECF No. 74) be due on January 27, 2023.