Opinion
2:05-cr-0035 MCE.
February 1, 2006
CARO MARKS, AFD, Attorney for Defendant, HERON SOTO FERNANDEZ.
McGREGOR W. SCOTT, United States Attorney, WILLIAM S. WONG, Assistant U.S. Attorney, Sacramento, California.
STIPULATION AND PROPOSED ORDER RESETTING ENTRY OF PLEA DATE
It is hereby stipulated between the parties, William Wong, Assistant United States Attorney, attorney for Plaintiff, and Caro Marks, Assistant Federal Defender for defendant, HERON FERNANDEZ SOTO, as follows:
It is agreed that the current Status Conference/Entry of Plea date of January 31, 2006 be vacated, and that a new Status Conference/Entry of Plea date of February 7, 2006 at 8:30 a.m. Counsel require additional time to complete a plea agreement.
Therefore, a continuance is requested. The government has no objections to this request. The parties stipulate and agree that time from January 31, 2006 until February 7, 2006 be excluded under the Speedy Trial Act pursuant to Local Code T4, Title 18 United States Code, Section 3161(h)(8)(B)(vi), to allow both parties to resolve sentencing issues.
ORDER
UPON GOOD CAUSE SHOWN and by stipulation of all parties, it is hereby ordered that this matter be set for further status conference and/or entry of plea as set forth above.
The Court finds excludable time as set forth above to and including February 7, 2006.
IT IS SO ORDERED.