Opinion
NO. CR S-12-169 MCE
04-08-2013
UNITED STATES OF AMERICA, Plaintiff, v. EILEEN KNIGHT, Defendant.
LAW OFFICE OF CHRISTOPHER HAYDN-MYER CHRISTOPHER HAYDN-MYER, Bar #176333 Attorney for Defendant EILEEN KNIGHT
LAW OFFICE OF CHRISTOPHER HAYDN-MYER
CHRISTOPHER HAYDN-MYER, Bar #176333
Attorney for Defendant
EILEEN KNIGHT
[PROPOSED] ORDER AND STIPULATION
BY THE PARTIES MODIFYING THE
FOLLOWING CONDITIONS OF PRETRIAL
RELEASE
Plaintiff, the United States of America, by its counsel, Assistant United States Attorney Jason Hitt, defendant Eileen Knight, by her attorney, Christopher Haydn-Myer, hereby jointly request and stipulate that this Court may sign the Proposed Order, ordering that Ms. Knight abide by the following conditions of pretrial release.
The reason for the request is that on December 5, 2012, Ms. Knight completed The Effort's 90 day residential substance abuse treatment program and was permitted to return to her residence in Los Angeles under the previously imposed conditions of release. Ms. Knight's Pre-Trial Release Officer reports that she has been in compliance for approximately 90 days. Ms. Knight has requested that her electronic monitoring device be removed as a condition of her release. Pre-Trial Services and the Assistant U.S. Attorney Jason Hitt do not oppose the modification.
BENJAMIN B. WAGNER
UNITED STATES ATTORNEY
Respectfully submitted,
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CHRISTOPHER HAYDN-MYER for
Assistant United States
Attorney Jason Hitt
Respectfully submitted,
_________________________
CHRISTOPHER HAYDN-MYER
Attorney for Eileen Knight
ORDER
FOR GOOD CAUSE SHOWN, IT IS SO ORDERED that condition number 11 of Ms. Eileen KNIGHT's pre-trial release is removed.
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EDMUND F. BRENNAN
UNITED STATES MAGISTRATE JUDGE