1 JON M. SANDS Federal Public Defender 2 850 W. Adams, Ste 201 3 Phoenix, Arizona 85007 Telephone: 602-382-2700 4 DAVID LEE TITTERINGTON 5 State Bar # 006500 Asst. Federal Public Defender 6 [email protected] Attorney for Defendant 7 8 9 10 11 12 13 14 15 16 17 William Kevin Domingo, through undersigned counsel, respectfully 18 asks this Court to continue the sentencing presently scheduled for June 19, 2006. 19 A continuance is necessary to allow defense counsel to file objections to the 20 21 22 23 24 25 27 //// 28 //// presentence report, and other matters related to the issues to be addressed at sentencing. Defense counsel has spoken to Tom Simon, Assistant United States Attorney assigned to this case, and Mr. Simon does not object. Therefore, Mr. Domingo asks this Court to continue the sentencing for a period of 30 days. It is expected that excludable delay under Title 18 U.S.C. ยง 3161(h)(1)(I) -vsWilliam Kevin Domingo, Defendant. United States of America, Plaintiff, MOTION TO CONTINUE SENTENCING (First Request) No. CR-04-1100-PHX-DGC IN THE UNITED STATES DISTRICT COURT DISTRICT OF ARIZONA
26 may occur as a result of this motion or from an order based thereon.
Case 2:04-cr-01100-DGC
Document 94
Filed 06/13/2006
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Respectfully submitted: June 13, 2006. JON M. SANDS Federal Public Defender
s/ David Lee Titterington DAVID LEE TITTERINGTON Assistant Federal Public Defender
9 Copy of the foregoing transmitted by ECF for filing this 13th day 10 of June, 2006, to: 11 Clerk's Office United States District Court 12 Sandra Day O'Connor Courthouse 13 401 W. Washington Phoenix, Arizona 85003 14 Tom Simon 15 Assistant U.S. Attorney United States Attorney's Office 16 Two Renaissance Square 40 N. Central Avenue, Suite 1200 17 Phoenix, Arizona 85004-4408 18 Copy mailed to: 19 21 William Kevin Domingo 20 Defendant s/ Kathy A. Kruckeberg 22 Kathy A. Kruckeberg 23 24 25 26 27 28
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Case 2:04-cr-01100-DGC
Document 94
Filed 06/13/2006
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