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Home Court filings United States v. Mosley et al. — N.D. Cal., Oakland Division, No. 4:23-cr-00134-AMO STIPULATION WITH PROPOSED ORDER to Continue Sentencing Hearing as to Frank Mosley,… — U…

Court filing

STIPULATION WITH PROPOSED ORDER to Continue Sentencing Hearing as to Frank Mosley,… — USA v. Mosley et al (Dkt. 63)

Record facts

CourtU.S. District Court for the Northern District of California
Filed2024-01-19

U.S. District Court for the Northern District of California · No. 4:23-cr-00134-AMO · Doc. 63 · 2024-01-19 · Docket on CourtListener

Summary

A stipulation and proposed order to continue a sentencing hearing, filed January 19, 2024 as Doc. 63 in United States v. Frank Mosley, No. 4:23-cr-00134-AMO, in the U.S. District Court for the Northern District of California. Defense counsel Malcolm Segal and Assistant United States Attorney Abraham Fine stipulate to move the sentencing hearing from March 25, 2024 to May 6, 2024. The stipulation states the continuance is at defense counsel's request, to allow time to gather records needed for the meeting with the assigned probation officer and the pre-sentence report. The four-page filing includes an unsigned proposed order for Judge Araceli Martínez-Olguín and a certificate of service on the United States Probation Office.

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STIPULATION AND [PROPOSED] ORDER TO CONTINUE SENTENCING HEARING   
 
Malcolm Segal (SBN 075481)  
SEGAL & ASSOCIATES, PC 
500 Capitol Mall, Suite 600 
Sacramento, CA  95814 
Telephone: (916) 441-0886 
Facsimile: (916) 475-1231 
msegal@segal-pc.com 
 
 
Attorneys for Defendant  
FRANK MOSLEY 
 
 
UNITED STATES DISTRICT COURT 
NORTHERN DISTRICT OF CALIFORNIA 
OAKLAND DIVISION 
 
UNITED STATES OF AMERICA, 
 
Plaintiff, 
v. 
FRANK MOSLEY, 
 
 
 
Defendant. 
Case No: 4:23-CR-00134-AMO 
STIPULATION AND [PROPOSED] 
ORDER TO CONTINUE SENTENCING 
HEARING 
 
Date:   March 25, 2024 
Time:   2:00 pm 
Judge: Hon. Araceli Martίnez-Olguίn  
 
 
 
 
 
Defendant Frank Mosley, by and through his counsel of record, Malcolm 
Segal, and Assistant United States Attorney Abraham Fine, hereby stipulate and 
request that the presently set sentencing hearing date of March 25, 2024, be 
continued to May 6, 2024. This continuance is at the request of counsel for 
defendant Frank Mosley who requires additional time to assist his client in 
gathering necessary records for the meeting with the assigned Probation Officer 
and are necessary for preparation of the pre-sentence report.  
Case 4:23-cr-00134-AMO     Document 63     Filed 01/19/24     Page 1 of 4

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STIPULATION AND [PROPOSED] ORDER TO CONTINUE SENTENCING HEARING   
 
IT IS SO STIPULATED. 
 
Dated:  January 19, 2024. 
 
 
SEGAL & ASSOCIATES, PC 
 
 
By: 
/s/ Malcolm Segal____________ 
MALCOLM SEGAL 
 
 
Counsel for Defendant 
FRANK MOSLEY 
 
 
Dated:  January 19, 2024. 
 
 
ISMAIL J. RAMSEY 
 
 
 
 
 
 
 
United States Attorney 
 
 
 
 
 
 
 
 
By:  /s/ Abraham Fine____________ 
 
 
 
 
 
 
 
ABRAHAM FINE 
 
 
 
 
 
 
 
Assistant United States Attorney 
 
 
Case 4:23-cr-00134-AMO     Document 63     Filed 01/19/24     Page 2 of 4

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STIPULATION AND [PROPOSED] ORDER TO CONTINUE SENTENCING HEARING   
 
[PROPOSED] ORDER 
 
The March 25, 2024 sentencing hearing date in the above-captioned case 
is hereby continued to May 6, 2024, at 2:00 p.m. for Defendant Frank Mosley. 
 
IT IS SO ORDERED. 
 
 
Dated: ____________, 2024.  
_________________________________ 
HON. ARACELI MARTÍNEZ-OLGUÍN 
 
 
Case 4:23-cr-00134-AMO     Document 63     Filed 01/19/24     Page 3 of 4

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STIPULATION AND [PROPOSED] ORDER TO CONTINUE SENTENCING HEARING   
 
CERTIFICATE OF SERVICE 
 
I hereby certify that I caused the foregoing to be served via electronic mail 
to: 
 
 
 
 
Melissa Moy 
United States Probation Office 
450 Golden Gate Avenue 
Suite 17-6884 
San Francisco, CA  94102 
Melissa_Moy@canp.uscourts.gov 
 
on this 19th day of January, 2024. 
 
 
 
 
 
 
 
 
/s/ Mindy Lybbert_______ 
 
 
 
 
 
 
Mindy Lybbert 
 
 
 
 
 
 
Assistant 
Case 4:23-cr-00134-AMO     Document 63     Filed 01/19/24     Page 4 of 4

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