The opinion of the court was delivered by: Lawrence J. O'Neill United States District Judge
STIPULATION TO CONTINUE SURRRENDER DATE, AND ORDER THEREON DATE: September 1, 2008 TIME: 8:45 A.M. DEPT.: Hon. Lawrence J. O'Neill
IT IS HEREBY STIPULATED by and between the parties through their attorneys of record that the hearing presently scheduled before the Hon. Lawrence J. O'Neill on September 1, 2008 at 8:45 a.m., be continued to September 8, 2008, at 8:35 A.M. The reason for this request is that there has been no designation of a surrender location and the current surrender date was erroneously set for September 1, 2008, which is a holiday.
ROGER K. VEHRS Attorney for Defendant, DAVID GEORGE SOLKAH McGREGOR W. SCOTT, United States Attorney
KATHLEEN A. SERVATIUS, Assistant U.S. Attorney Attorney for Plaintiff
ORDER IT SO ORDERED. Time is excluded in the interests of justice pursuant to 18 U.S.C. Section 3161 (h)(8)(B)(iv) and availability of counsel.
ROGER K. VEHRS, SBN 073018
Attorney at Law 2300 Tulare Street, Suite 250 Fresno, California 93721 Telephone: (559) 442-4211 Attorney for Defendant, DAVID GEORGE SOLKAH
DECLARATION OF ROGER K. VEHRS IN SUPPORT OF STIPULATION TO CONTINUE SURRENDER DATE, AND ORDER THEREON
I, Roger K. Vehrs, declare and state as follows:
1. That I am an attorney duly licensed to practice law in all the courts of the State of California, and before the United States Court for the Eastern District of California, and I represent Defendant David George Solkah.
2. The surrender date presently scheduled for Mr. Solkah to surrender was erroneously set for September 1, 2008 at 8:45 a.m., which is national holiday.
3. I was called today by the U.S. Marshal's Office and told that there was no surrender location designated, that I needed to request a brief continuance of the surrender date to September 8, 2008. Hopefully, by then we will have ...