The Motion also states:a. Counsel for Defendant has a prepaid vacation from December 4, 2008 through December 9, 2008, in Vieges, Puerto Rico. She also expects to be out of the office for the Thanksgiving holiday from November 26, 2008 until December 1, 2008, and out of the office for the Christmas holiday from December 24, 2008, until December 29, 2008.
Pete's lawyer also cites various other cases that need her time and attention.b. Counsel for Defendant has not yet received discovery from the United States, although she expects to receive it by December 1, 2008.
c. This case involves complex issues of tax law and statutory construction. Counsel for Defendant needs extra time in which to develop the defense, in order to protect Defendant’s constitutional rights.
The Motion asks that the Court reschedule the dates for the Plea Agreement, Final Status Conference, and Trial.
The Motion states that the United States has agreed to the motion (item 4f of the Motion).
EDIT: The Motion also states that Pete's lawyer "is still evaluating the case" but expects "to file several motions which will be time consuming to research and draft."