Opinion
2:20-cr-00313-APG-BNW
01-18-2022
CHRISTOPHER CHIOU Acting United States Attorney Nevada Bar No. 14853 CHRISTOPHER BURTON MICHAEL MICELI, ESQ. Counsel for Defendant MARCUS ANTHONY MILLNER
CHRISTOPHER CHIOU Acting United States Attorney Nevada Bar No. 14853 CHRISTOPHER BURTON
STIPULATION TO CONTINUE SENTENCING (FOURTH REQUEST)
THE HONORABLE ANDREW GORDON UNITED STATES DISTRICT JUDGE
IT IS HEREBY STIPULATED AND AGREED, by and between CHRISTOPHER CHIOU, Acting United States Attorney, and CHRISTOPHER BURTON, Assistant United States Attorneys, counsel for the United States of America, and MICHAEL MICELI, ESQ., counsel for Defendant MARCUS ANTHONY MILLNER, that the sentencing hearing currently scheduled for January 18, 2022, at 9:30 a.m., be vacated and continued to a date and time to be set by this Honorable Court but no sooner than 120 days.
This stipulation is entered into for the following reasons:
1. On December 16, 2020, as a term of his pretrial release, Millner was ordered to satisfy all outstanding warrants within 120 days and provide verification to pretrial services.
2. On May 4, 2021, the parties filed a stipulation to modify the terms of this requirement of his pretrial release to give Millner an additional 90 days, which was granted by this Court
3. Counsel for the United States and counsel for Millner hereby stipulate and agree to give Millner an additional 120 days from the filing of this agreement for Millner to satisfy his outstanding warrants and provide verification to pretrial services.
4. Defense counsel needs additional time to prepare for sentencing.
5. This is the fourth stipulation to continue filed herein.
MICHAEL MICELI, ESQ. Counsel for Defendant MARCUS ANTHONY MILLNER
ORDER
Based on the pending Stipulation of counsel, and good cause appearing therefore, the Court finds that:
This stipulation is entered into for the following reasons:
1. On December 16, 2020, as a term of his pretrial release, Millner was ordered to satisfy all outstanding warrants within 120 days and provide verification to pretrial services.
2. On May 4, 2021, the parties filed a stipulation to modify the terms of this requirement of his pretrial release to give Millner an additional 90 days, which was granted by this Court
3. Counsel for the United States and counsel for Millner hereby stipulate and agree to give Millner an additional 120 days from the filing of this agreement for Millner to satisfy his outstanding warrants and provide verification to pretrial services.
4. Defense counsel needs additional time to prepare for sentencing.
5. This is the fourth stipulation to continue filed herein.
ORDER
IT IS FURTHER ORDERED that the sentencing hearing currently scheduled for January 18, 2022, at the hour of 9:30 a.m., be vacated and continued to June 1, 2022, at the hour of 11:00 a.m. in courtroom 6C.