Court filing
Motion for Extension of Time to File Executed Stipulation re 133 Stipulation — USA v. McCabe (Dkt. 136, S.D. Fla.)
Filed November 4, 2025 in USA v. McCabe; one of 219 filings from this case.
Record facts
| Court | U.S. District Court for the Southern District of Florida |
|---|---|
| Filed | 2025-11-04 |
U.S. District Court for the Southern District of Florida · No. 9:24-cr-80103-AMC · Doc. 136 · 2025-11-04 · Docket on CourtListener
Full text
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
WEST PALM BEACH DIVISION
UNITED STATES OF AMERICA,
CASE NO.: 9:24-CR-80103-CANNON
Plaintiff,
v.
DUSTIN SEAN MCCABE,
Defendant.
______________________/
UNOPPOSED MOTION FOR ENLARGEMENT OF TIME TO RESPOND
TO ORDER REQUIRING EXECUTED STIPULATION TO
RESTITUTION AMOUNT AND WAIVER OF APPEARANCE
The Defendant, by and through undersigned counsel, hereby moves for a ten
(10) day enlargement of time to respond to the Order Requiring Executed
Stipulation to Restitution Amount and, as grounds therefore, states as follows:
1. Per Order of this Court, the Executed Stipulation in this matter is due
November 4, 2025.
2. The Defendant, through counsel, was presented with documents to be
executed, but the defendant requested additional documentation to substantiate
the amounts that he would sign off on.
3. Musca Law, P.A. has conferred with AUSA, Jacob Koffsky, as to
Case 9:24-cr-80103-AMC Document 136 Entered on FLSD Docket 11/04/2025 Page 1 of 2
2
obtaining further documents needed to present to the defendant for signature,
thereby requiring additional time to have said documents executed, as the
defendant is presently incarcerated.
4. AUSA, Jacob Koffsky, is not opposed to an enlargement of time in this
Matter.
WHEREFORE, the defendant, through undersigned counsel, asks this
Honorable court to enter an order granting an additional ten (10) days in which
to comply with the executed Stipulation.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a true and correct copy of the foregoing was
electronically noticed through the CM/ECF system to Jacob Koffsky, AUSA, and all
other parties of record, on this 4th day of November 2025.
Respectfully submitted,
MUSCA LAW, P.A.
800 SE 3rd Avenue, Suite 200
Fort Lauderdale, Florida 33316
(954) 357-0797
/s/ John Patrick Musca, Esquire
JOHN PATRICK MUSCA, ESQ.
Attorney for the defendant
Florida Bar Number: 163155
John@muscalaw.com
Niki.Salas@muscalaw.com
Case 9:24-cr-80103-AMC Document 136 Entered on FLSD Docket 11/04/2025 Page 2 of 2File and source
- File
- gov.uscourts.flsd.673624.136.0.pdf
- Size
- 111,224 bytes
- SHA-256
- 4842590631b889f702754060c41f6b8f39c3059308b2a992e4f5e35f2148c0c9
- Original
- PACER (login required)