Opinion
2:23-cr-20229
05-30-2024
Louis F. Meizlish Assistant United States Attorney Lillian F. Diallo Attorney for Jerome McNeil
Louis F. Meizlish Assistant United States Attorney
Lillian F. Diallo Attorney for Jerome McNeil
STIPULATION FOR PRETRIAL DETENTION
HON. TERRENCE G. BERG JUDGE
1. On March 31, 2023, this Court authorized a criminal complaint against Defendant for being a felon in possession of a firearm, 18 U.S.C. § 922(g)(1). ECF No. 1.
2. At the conclusion of a detention hearing on April 7, 2023, the Court granted Defendant pretrial release. ECF Nos. 13-14.
3. On April 18, 2023, a grand jury indicted Defendant for the same felon-in-possession offense. ECF No. 15.
4. On April 28, 2024, the Court authorized a criminal complaint against Defendant and others for several offenses, including robbery, burglary, and conspiracy to commit robbery and burglary involving controlled substances, 18 U.S.C. § 2118(a), (b), and (d). United States v. McNeil, No. 2:24-cr-20250, ECF No. 1.
5. On May 8, 2024, a grand jury indicted Defendant for the offense of conspiracy to commit robbery involving controlled substances, 18 U.S.C. § 2118(d). United States v. McNeil, No. 2:24-cr-20250, ECF No. 54.
6. On May 16, 2024, this Court ordered Defendant detained on the pharmacy-robbery case. Id., ECF No. 70.
7. The pretrial services office seeks Defendant's detention on this (felon-in-possession) case due to his alleged participation in the pharmacy-robbery conspiracy while on pretrial release on this case. United States v. McNeil, No. 2:23-cr-20229, ECF No. 42.
8. Given the detention order on the pharmacy-robbery case, the parties stipulate that a consent order of detention on this (felon-inpossession) case is appropriate. See 18 U.S.C. §§ 3143(a), 3148(b).