Opinion
2:10-cr-00456-APG-VCF
04-06-2022
SARAH FERGUSON McDonald Carano LLP CHRISTOPHER CHIOU Acting United States Attorney Sarah Ferguson McDonald Carano LLP Elizabeth O. White Assistant United States Attorney
SARAH FERGUSON McDonald Carano LLP
CHRISTOPHER CHIOU Acting United States Attorney
Sarah Ferguson McDonald Carano LLP
Elizabeth O. White Assistant United States Attorney
STIPULATION AND ORDER RE RESCHEDULING RESENTENCING
(THIRD REQUEST)
Plaintiff The United States of America and Defendant Jason Wiley, by and through undersigned counsel, hereby agree and stipulate that the current date of May 3, 2022 at 11:00 a.m. to conduct the sentencing of Defendant Jason Wiley may be moved to May 26, 2022 at 4:30 p.m. This is the parties' third request for an extension of time and is not intended to cause any undue delay or prejudice any party, but is made to accommodate logistics related to Mr. Wiley's transport and the ability of the Probation Office to conduct his interview and issue a presentencing report for the parties' review.
IT IS SO ORDERED.