Opinion
Case No. 2:12-CR-00392-JAM / KJN
03-08-2013
Kresta Nora Daly Assistant United States Attorney JILL THOMAS BARTH TOZER & DALY LLP KRESTA NORA DALY Attorneys for Defendant ANGELO LORENZO GONZALES
Kresta Nora Daly, SBN 199689
Thomas W. Barth, SBN 154075
BARTH TOZER & DALY LLP
431 "I" Street, Suite 201
Sacramento, California 95814
Telephone: (916) 440-8600
Facsimile: (916) 440-9610
Email: kdaly@btdlegal.com
Attorneys for Defendant
ANGELO LORENZO GONZALEZ
STIPULATION AND ORDER
MODIFYING PRETRIAL RELEASE
CONDITIONS
STIPULATION
Plaintiff United States of America, by and through Assistant United States Attorney Jill Thomas, and defendant Angelo Lorenzo Gonzales, by and through his counsel of record, Kresta Nora Daly, hereby stipulate that Pretrial Release Conditions 15 and 16 should be removed.
Pretrial Release Conditions 15 and 16 read:
15. You shall participate in the following home confinement program components and abide by all the requirements of the program, which will include electronic monitoring or other location verification system:
CURFEW: You are restricted to your residence every day as directed by the pretrial services officer; and
16. You shall, in accordance with this release order, have a home monitoring unit installed in your residence, a radio frequency transmitter device attached to your person, and shall
comply with all instructions for the use and operation of said devices as given to you by the Pretrial Services Agency and employees of the monitoring company. You shall pay all or part of the costs of the program based upon your ability to pay, as determined by the pretrial services officer.
Mr. Gonzales has been supervised by Pretrial Services Officers Steve Sheehan and Daryl Walker for more than 90 days. Mr. Sheehan recently took over supervision. While on supervision Mr. Gonzales has been compliant with all requests made by Pretrial Services and has not had any incidents.
Mr. Sheehan is aware of this stipulation and request and has no objection to the court granting this request.
Kresta Nora Daly
Assistant United States Attorney JILL THOMAS
BARTH TOZER & DALY LLP
By ________________
KRESTA NORA DALY
Attorneys for Defendant
ANGELO LORENZO GONZALES
ORDER
IT IS HEREBY ORDERED that Pretrial Release Conditions 15 and 16 be removed. All other Pretrial Release conditions previously imposed remain in effect.
_________________
CAROLYN K. DELANEY
UNITED STATES MAGISTRATE JUDGE