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U.S. v. Heidi Phong, CR 2:18-cr-00258-MCE. (2019)

Court: District Court, E.D. California Number: infdco20190611754 Visitors: 17
Filed: Jun. 07, 2019
Latest Update: Jun. 07, 2019
Summary: DEFENDANT FENG LI'S UNOPPOSED APPLICATION AND [PROPOSED] ORDER TO MODIFY CONDITIONS OF RELEASE ALLISON CLAIRE , District Judge . Defendant Feng Li, through undersigned counsel, hereby submits this unopposed application to modify the conditions of his pretrial release. On March 6, 2019, this Court issued an order releasing Mr. Li from custody on numerous conditions including that he live with his wife Jing Chen, who is also a surety, in the couple's residence in Brooklyn, New York. S
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DEFENDANT FENG LI'S UNOPPOSED APPLICATION AND [PROPOSED] ORDER TO MODIFY CONDITIONS OF RELEASE

Defendant Feng Li, through undersigned counsel, hereby submits this unopposed application to modify the conditions of his pretrial release.

On March 6, 2019, this Court issued an order releasing Mr. Li from custody on numerous conditions including that he live with his wife Jing Chen, who is also a surety, in the couple's residence in Brooklyn, New York. See Docket No. 38. Since Mr. Li's release, he has been under the supervision of Pretrial Services in the Eastern District of New York and is in good standing.

Several weeks ago, Mr. Li and his wife were presented with the opportunity to move to St. Louis, Missouri to open a restaurant there. Consequently, undersigned counsel applied to this Court to modify Mr. Li's pretrial release conditions to permit him to move to Missouri with Ms. Chen. See Docket No. 58. This Court approved that request. See Docket No. 59.

The restaurant opening has been delayed for reasons outside of Mr. Li's control. Mr. Li and his wife plan to move to St. Louis at the end of July 2019. Until that time, Pretrial Services in the Eastern District of California requires that Mr. Li continue to be monitored by Pretrial Services in the Eastern District of New York. Within 24 hours of his departure from Brooklyn, Mr. Li will be required to notify Pretrial Services in the Eastern District of California, and he will be required to personally appear at the Pretrial Services in the Eastern District of Missouri within 24 hours of his arrival in that city.

For the foregoing reasons, Mr. Li requests that the Court modify his release conditions to direct Pretrial Services in the Eastern District of New York to continue monitoring Mr. Li until his departure from Brooklyn late next month. Mr. Li should also be required to notify Pretrial Services in the Eastern District of California within 24 hours of leaving New York, and required to appear personally at Pretrial Services in the Eastern District of Missouri within 24 hours of his arrival in St. Louis with his wife.

Dated: June 7, 2019 NOLAN BARTON & OLMOS LLP /S/Daniel Olmos Daniel Olmos Attorney for Defendant Feng Li

GOOD CAUSE APPEARING, Defendant Feng Li's conditions of release are modified to direct Pretrial Services in the Eastern District of New York to continue monitoring Mr. Li until his departure from that district in late July 2019. Mr. Li is also required to notify Pretrial Services in the Eastern District of California within 24 hours of leaving New York, and is required to appear personally at Pretrial Services in the Eastern District of Missouri within 24 hours of his arrival in St. Louis, Missouri.

Source:  Leagle

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