Opinion
No. CR S 07 0248-20 WBS
09-02-2011
Timothy E. Warriner (SB#166128) Attorney at Law Attorney for Defendant, THURMAN MAXWELL
Timothy E. Warriner (SB#166128)
Attorney at Law
Attorney for Defendant,
THURMAN MAXWELL
STIPULATION AND [PROPOSED]
ORDER CONTINUING
SENTENCING DATE
It is hereby stipulated by and between Tim Warriner, counsel for defendant Thurman Maxwell, and Jason Hitt, Assistant United States Attorney, counsel for the government, that the sentencing hearing now set for September 6, 2011 be vacated, and that judgment and sentencing be set for October 24, 2011, at 8:30 a.m. The continuance is needed to afford both counsel additional time to address matters concerning the presentence investigation report.
+-----------------------------------------------------------------------------+ ¦Dated: September 1, ¦/s/ Timothy E. Warriner, Attorney for Maxwell ¦ ¦2011 ¦ ¦ +--------------------+--------------------------------------------------------¦ ¦Dated: September 1, ¦/s/ Jason Hitt, Assistant United States Attorney for The¦ ¦2011 ¦Government ¦ +-----------------------------------------------------------------------------+
ORDER
GOOD CAUSE APPEARING, and based on the foregoing stipulation of counsel, the September 6, 2011 sentencing date is vacated, and the matter is set for judgment and sentence to occur on October 24, 2011 at 8:30 a.m.
WILLIAM B. SHUBB
UNITED STATES DISTRICT JUDGE