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United States v. Cuesta-Barros

UNITED STA TES DISTRICT COURT DISTRICT OF NEW JERSEY
Nov 14, 2012
Criminal No. 95-034 (D.N.J. Nov. 14, 2012)

Opinion

Criminal No. 95-034

11-14-2012

UNITED STATES OF AMERICA, Plaintiff, v. RAIMUNDO CUESTA-BARROS, Defendant.

PAUL J. FISHMAN United Slates Attorney LEAH A. BYNON Assistant U.S. Attorney


PAUL J. FISHMAN
United States Attorney
LEAH A. BYNON
Assistant U.S. Attorney
970 Broad Street, Room 700
Newark, NJ 07102
Tel. 973-645-2736
Fax. 973-645-3210
email: LEAH.BYNON@usdoj.gov
LAB0321
(FLU:KJ)

HON.


PETITION FOR REMISSION

OF FINE

The United States hereby petitions this Court for remission of $1,000 still due on the fine imposed upon defendant on August 3,1995. This request is made in accordance with Title 18, United States Code, Section 3573 which provides in pertinent part:

Upon petition of the government showing that reasonable efforts to collect a fine or assessment are not likely to be effective, the court may, in the interest of justice--
(1) remit all or part of the unpaid portion of the fine or special assessment, including interest and penalties;
18 U.S.C. § 3573, as amended.

This request of the United States is based upon the following:

1. The fine has been imposed for a period of 17 years ; to date payments in the amount of $0 have been made toward this fine.

2. The United States Attorney has been unable to collect this fine due to the debtor being deported to Columbia on October 21, 1998.

3. The United States Attorney has determined that there is no reasonable likelihood that further efforts to collect this fine would produce any revenue to the United States. Any further efforts would, in fact, be contrary to the interests of the United States because such efforts would needlessly expend resources that could be better directed to areas with greater potential for recovery.

THEREFORE, the United States Attorney respectfully petitions this court for an order pursuant to 18 U.S.C. § 3573, as amended, remitting the fine, including interest and penalties.

Respectfully submitted,

PAUL J. FISHMAN

United Slates Attorney

By: LEAH A. BYNON

Assistant U.S. Attorney
PAUL J. FISHMAN
United States Attorney
LEAH A. BYNON
Assistant U.S. Attorney
970 Broad Street, Room 700
Newark, NJ 07102
Tel. 973-645-2736
Fax. 973-645-3210
email: LEAH.BYNON@usdoj.gov
LAB0321
(FLU:KJ)
UNITED STATES OF AMERICA, Plaintiff,

v. RAIMUNDO CUESTA-BARROS, Defendant.

HON.


Criminal No. 95-034


ORDER FOR

REMISSION OF FINE

This matter having been opened to the Court by PAUL J. FISHMAN, United States Attorney for the District of New Jersey (Leah A. Bynon, Assistant U.S. Attorney, appearing), and the Court having considered the Petition for Remission of Fine, and for good cause shown,

IT IS on this 12 day of Nov., 2012,

ORDERED, that the balance of the fine imposed on August 3, 1995, in the amount of $1,000 is hereby remitted.

______________________

UNITED STATES DISTRICT JUDGE


Summaries of

United States v. Cuesta-Barros

UNITED STA TES DISTRICT COURT DISTRICT OF NEW JERSEY
Nov 14, 2012
Criminal No. 95-034 (D.N.J. Nov. 14, 2012)
Case details for

United States v. Cuesta-Barros

Case Details

Full title:UNITED STATES OF AMERICA, Plaintiff, v. RAIMUNDO CUESTA-BARROS, Defendant.

Court:UNITED STA TES DISTRICT COURT DISTRICT OF NEW JERSEY

Date published: Nov 14, 2012

Citations

Criminal No. 95-034 (D.N.J. Nov. 14, 2012)