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United States v. Lin

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION
Mar 18, 2013
Case No.: CR-12-0217 WHA (N.D. Cal. Mar. 18, 2013)

Opinion

Case No.: CR-12-0217 WHA

03-18-2013

UNITED STATES OF AMERICA, Plaintiff, v. ROY LIN and JOHN LIN, Defendants.

PATRICK D. ROBBINS SHEARMAN & STERLING LLP Attorney for Defendant Roy Lin ELIZABETH M. FALK ASSISTANT FEDERAL PUBLIC DEFENDER Attorney for Defendant John Lin HALLIE M. HOFFMAN ASSISTANT UNITED STATES ATTORNEY PATRICK D. ROBBINS SHEARMAN & STERLING LLP Attorney for Defendant Roy Lin


Patrick D. Robbins (CSBN 152288)
Jason Allen (CSBN 251759)
SHEARMAN & STERLING LLP
Attorneys for Defendant
Roy Lin

STIPULATION AND [PROPOSED] ORDER

CHANGING SENTENCING DATE


[CRIM. L.R. 32-2]

Pursuant to Criminal Local Rule 32-2, this Stipulation is entered into by and among Plaintiff, the United States of America, and Defendants Roy Lin and John Lin (together, the "Parties"), through their respective attorneys of record.

WHEREAS, Defendants entered guilty pleas on December 11, 2012;

WHEREAS, sentencing in this action is scheduled for April 9, 2013;

WHEREAS, counsel for Defendant Roy Lin is scheduled to prepare for and participate in a pro bono program outside the United States during the weeks leading up to the currently-scheduled sentencing date, and respectfully requests sufficient additional time to consult fully with Mr. Lin and to prepare effectively for sentencing in advance of the hearing;

WHEREAS, the Parties, their counsel, and the U.S. Probation Officer assigned to this action are each agreeable to and available for a sentencing hearing on April 23, 2013;

WHEREAS, the Courtroom Deputy Clerk has confirmed that April 23, 2013, is available on this Court's calendar;

THEREFORE, the Parties hereby stipulate and agree, with the Court's approval, to extend the sentencing date two weeks, to April 23, 2013, at 2 p.m.

Respectfully submitted,

By: _________________

PATRICK D. ROBBINS

SHEARMAN & STERLING LLP

Attorney for Defendant Roy Lin

By: _________________

ELIZABETH M. FALK

ASSISTANT FEDERAL PUBLIC DEFENDER

Attorney for Defendant John Lin

By: _________________

HALLIE M. HOFFMAN

ASSISTANT UNITED STATES ATTORNEY

ATTESTATION PURSUANT TO CIVIL LOCAL RULE 5-1

I, Patrick D. Robbins, attest that concurrence in the filing of this document has been obtained from all signatories.

_________________

PATRICK D. ROBBINS

SHEARMAN & STERLING LLP

Attorney for Defendant Roy Lin

[PROPOSED] ORDER

Based on the Stipulation of the Parties, and good cause appearing therefore, the sentencing date of April 9, 2013, shall be VACATED and the new sentencing date is hereby set for April 23, 2013, at 2:00 p.m.

IT IS SO ORDERED.

_________________

WILLIAM H. ALSUP

United States District Judge


Summaries of

United States v. Lin

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION
Mar 18, 2013
Case No.: CR-12-0217 WHA (N.D. Cal. Mar. 18, 2013)
Case details for

United States v. Lin

Case Details

Full title:UNITED STATES OF AMERICA, Plaintiff, v. ROY LIN and JOHN LIN, Defendants.

Court:UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION

Date published: Mar 18, 2013

Citations

Case No.: CR-12-0217 WHA (N.D. Cal. Mar. 18, 2013)