Opinion
2:11-cr-00005-JCM-LRL
04-27-2023
JASON M. FRIERSON United States Attorney JACOB H. OPERSKALSKI Assistant United States Attorney Attorneys for the United States of America RENE L. VALLADARES Federal Public Defender HEIDI A. OJEDA Assistant Federal Public Defender
JASON M. FRIERSON United States Attorney JACOB H. OPERSKALSKI Assistant United States Attorney Attorneys for the United States of America
RENE L. VALLADARES Federal Public Defender HEIDI A. OJEDA Assistant Federal Public Defender
STIPULATION TO CONTINUE RESPONSE DEADLINE
HONORABLE JAMES C. MAHAN UNITED STATES DISTRICT JUDGE
The parties, by and through the undersigned, respectfully request that the Court continue the deadline to respond to the defendant's Motion for Early Termination of Supervised Release, ECF Doc. 33.
The parties stipulate that the government shall have until May 10, 2023, to respond to the defendant's motion.
Respectfully submitted this 26th day of April, 2023.
Based on the pending stipulation of the parties, and upon the Court's finding of good cause, IT IS HEREBY ORDERED:
The government shall have until May 10, 2023, to respond to the defendant's Motion for Early Termination of Supervised Release, ECF Doc. 33.