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U.S. v. Flores, CR 17-116 HSG. (2018)

Court: District Court, N.D. California Number: infdco20180329a91 Visitors: 31
Filed: Mar. 27, 2018
Latest Update: Mar. 27, 2018
Summary: STIPULATION AND [PROPOSED] ORDER REGARDING CONDITIONS OF RELEASE AND APPEARANCE KANDIS WESTMORE , Magistrate Judge . With the agreement of counsel for both parties, with United States Pretrial Services, and with the consent of defendant Mark Flores, the Court enters this order documenting an amendment to the CONDITIONS OF RELEASE AND APPEARANCE dated March 14, 2017. The parties agree, and the Court finds and holds as follows: 1. Defendant appeared before this Court on March 14, 2017
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STIPULATION AND [PROPOSED] ORDER REGARDING CONDITIONS OF RELEASE AND APPEARANCE

With the agreement of counsel for both parties, with United States Pretrial Services, and with the consent of defendant Mark Flores, the Court enters this order documenting an amendment to the CONDITIONS OF RELEASE AND APPEARANCE dated March 14, 2017. The parties agree, and the Court finds and holds as follows:

1. Defendant appeared before this Court on March 14, 2017 for a detention hearing pursuant to 18 U.S.C. §§ 3142(e) and 3142(f). At that time, this Court released the defendant on a $75,000.00 unsecured bond, with among other standard conditions, specifically the following added conditions: a. Electronic detention at home other than for pre-approved legal and medical appointments; b. Surrendering of his DEA registration; c. No practicing of medicine or attempts to provide medical care to anyone except a family member in an emergency; d. Shall not possess any prescriptions or prescription pads; e. Shall have no contact with people he formerly prescribed drugs to; and f. Shall refrain from gambling or entering into any gambling establishments. 2. At this time, counsel for Mr. Flores and the United States, as well as Pretrial Services Officer Nelson Barao have agreed that Mr. Flores' conditions of release could be modified to allow the defendant to be removed from electronic detention. Mr. Flores has abided by all release conditions, has multiple counseling and treatment sessions outside the home, and has secured a new job verified by Pretrial Services. 3. Both Assistant U.S. Attorney Frank Riebli and U.S. Pretrial Services Officer Nelson Barao have been advised of this request and do not object to the removal of his electronic home detention in order to accommodate comtinued counseling and treatment, and allow new employment. 4. Accordingly, and with the consent of all Parties, the Court orders that the defendant's conditions of release and appearance are so AMENDED.

IT IS SO STIPULATED.

Attestation of Filer

In addition to myself, the other signatory to this document is AUSA Frank Riebli. I attest that I have his permission to enter a conformed signature on his behalf and to file the document.

Dated: March 26, 2018 /s/ JONATHAN D. McDOUGALL Attorney for Defendant Mark Flores
Source:  Leagle

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