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Case 3:16-cr-00051-BR

Document 1353

Filed 09/27/16

Page 1 of 1

Benjamin T. Andersen
101 SW Madison #9068
Portland, Oregon 97207
t. 503.860.2531
bta@btandersen.com
Attorney for Defendant
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF OREGON
PORTLAND DIVISION
UNITED STATES OF AMERICA,
Plaintiff,
v.

Case No. 3:16-CR-051-BR-23


MOTION TO CONTINUE/RESET
SENTENCING DATE

Geoffrey STANEK,
Defendant.
COMES NOW Defendant, by and through counsel, and moves this court for an
order continuing the sentencing date, presently set for October 7th, 2016, to a date in midNovember this year or later at the Courts convenience. This motion is made to afford
Defendant's counsel the reasonable time necessary for effective preparation, as further
detailed in the attached declaration in support.
AUSA Craig Gabriel, on behalf of the government, does not oppose this motion.
Respectfully submitted this 27th day of September, 2016.
/s/ (intended as original in electronic filings)
_______________________________________
Benjamin T. Andersen, OSB 06256
Attorney for Defendant

PAGE 1 MOTION TO CONTINUE/RESET SENTENCING DATE


United States v. STANEK,
USDC Oregon Case No. Case No. 3:16-CR-051-BR-23

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