Opinion
2:20-cr-00194-JAD-DJA
04-04-2023
PITARO & FUMO, CHTD. BY THOMAS F. PITARO COUNSEL FOR DEFENDANT JUAN SOSA TAMAYO JASON M FRIERSON UNITED STATES ATTORNEY BY ERIC C. SCHMALE ASSISTANT UNITED STATES ATTORNEY
PITARO & FUMO, CHTD. BY THOMAS F. PITARO COUNSEL FOR DEFENDANT JUAN SOSA TAMAYO
JASON M FRIERSON UNITED STATES ATTORNEY BY ERIC C. SCHMALE ASSISTANT UNITED STATES ATTORNEY
STIPULATION TO CONTINUE SENTENCING
IT IS HEREBY STIPULATED AND AGREED, by and between Eric C. Schmale, Assistant United States Attorney, counsel for the United States (hereinafter “the Government”), and Thomas F. Pitaro, counsel for defendant Juan Sosa Tamayo (collectively, “the Parties”), that the sentencing scheduled for April 10, 2023, at 3:00 p.m., be vacated to a date and time convenient to the court, but preferably on May 15, May 16, or May 17, 2023 .
The Stipulation is entered into for the following reasons:
1. The additional time requested herein is not sought for purposes of delay.
2. Counsel Thomas Pitaro, attorney for Juan Sosa Tamayo, needs additional time to prepare for sentencing.
3. Counsel has spoken to Defendant and he has no opposition to the continuance.
4. Counsel has spoken to the Government and he has no opposition to the continuance.
5. The parties agree to the continuance.
6. The additional time requested herein is not sought for purposes of delay, but merely to allow counsel for defendants sufficient time within which to be able to effectively prepare for sentencing, taking into account the exercise of due diligence.
7. Denial of this request for continuance would deny counsel for sufficient time to effectively represent the defendant.
This is the third Stipulation to continue the sentencing and related dates in this matter.
ORDER
FINDINGS OF FACT
Based on the pending Stipulation of counsel, and good cause appearing therefore, the Court finds that:
1. The additional time requested herein is not sought for purposes of delay.
2. Counsel Thomas Pitaro, attorney for Juan Sosa Tamayo, needs additional time to prepare for sentencing.
3. Counsel has spoken to Defendant and he has no opposition to the continuance.
4. Counsel has spoken to the Government and he has no opposition to the continuance.
5. The parties agree to the continuance.
6. The additional time requested herein is not sought for purposes of delay, but merely to allow counsel for defendants sufficient time within which to be able to effectively prepare for sentencing, taking into account the exercise of due diligence.
7. Denial of this request for continuance would deny counsel for sufficient time to effectively represent the defendant.
This is the third Stipulation to continue the sentencing and related dates in this matter.
ORDER
IT IS THEREFORE ORDERED that the sentencing currently set for April 10, 2023 at 3:00 p.m., is vacated and continued to May 16, 2023, at 11:00 a.m.