United States of America v. Anderson

Filing 123

ORDER GRANTING 122 STIPULATION WITH PROPOSED ORDER STIPULATION AND REQUEST TO CONTINUE FURTHER CONTEMPT HEARING SET FOR MAY 26, 2016 filed by Sigurd Anderson. Signed by Judge Jon S. Tigar on May 20, 2016. (jstlc2S, COURT STAFF) (Filed on 5/20/2016)

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1 JAY R. WEILL (State Bar No. 75434) E-Mail: jweill@sideman.com 2 SIDEMAN & BANCROFT LLP One Embarcadero Center, Twenty-Second Floor 3 San Francisco, California 94111-3711 Telephone: (415) 392-1960 (415) 392-0827 4 Facsimile: 5 Attorneys for DEFENDANT SIGURD ANDERSON 6 7 NORTHERN DISTRICT OF CALIFORNIA, SAN FRANCISCO DIVISION 10 ONE EMBARCADERO CENTER, 22ND FLOOR SAN FRANCISCO, CALIFORNIA 94111-3711 LAW OFFICES UNITED STATES DISTRICT COURT 9 SIDEMAN & BANCROFT LLP 8 11 UNITED STATES OF AMERICA, Plaintiff, 12 13 v. Case No. 3:14-CV-01932-JST STIPULATION AND REQUEST TO CONTINUE FURTHER CONTEMPT HEARING SET FOR MAY 26, 2016 14 SIGURD ANDERSON, 15 Respondent. 16 17 18 The above matter is a summons enforcement case set for a further contempt hearing on 19 May 26, 2016 to determine an appropriate sanction. In this Court’s Order Granting Motion To 20 Find Respondent In Contempt dated March 25, 2016, the Court ruled in part that Respondent will 21 no longer be held in contempt if, by the date of this hearing, he fully complies with the summons. 22 On April 26, 2016, attorneys Edward O.C. Ord and Cheng Zhang were terminated as 23 counsel for Mr. Anderson in the matter and the undersigned counsel were substituted in the case. 24 On May 18, 2016, we delivered to Revenue Agent Sarah Ho copies of bank records from UBS 25 Switzerland that were the subject of the Order Granting Motion to Find Respondent in Contempt. 26 The parties stipulate and request that the hearing set for May 26, 2016 be continued to June 27 30, 2016 to allow the Government to review the bank records to determine whether the respondent 28 is still in contempt. Case No. 3:14-CV-01932-JST 1 STIPULATION AND REQUEST TO CONTINUE HEARING SET FOR MAY 26, 2016 1 DATED: May 19, 2016 Respectfully submitted, 2 SIDEMAN & BANCROFT LLP 3 4 By: 5 6 /s/JAY R. WEILL Jay R. Weill Attorneys for DEFENDANT SIGURD ANDERSON 7 UNITED STATES OF AMERICA 10 11 By: 12 13 /S/MICHAEL P. PITMAN Michael G. Pitman Assistant United States Attorney, Tax Division Attorneys for United States of America 14 15 Upon stipulation and joint request, this matter is continued to July 5, 2016 at 2:00 p.m. 18 DATED: May 20 , 2016 S 21 22 RT 24 NO 23 9511-1\2896622v1 Honorable Jon S. TigarRDERED SO O IT I District Judge United States S nS J u d ge J o ER 26 . Ti ga r A H 25 R NIA 20 RT U O 19 S DISTRICT TE C TA FO 17 LI 16 ORDER UNIT ED ONE EMBARCADERO CENTER, 22ND FLOOR SAN FRANCISCO, CALIFORNIA 94111-3711 LAW OFFICES Respectfully submitted, 9 SIDEMAN & BANCROFT LLP 8 DATED: May 19, 2016 N F D IS T IC T O R C 27 28 Case No. 3:14-CV-01932-JST 2 STIPULATION AND REQUEST TO CONTINUE HEARING SET FOR MAY 26, 2016

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