Opinion
NO. 2:10-cr-468 JAM
02-06-2013
DWIGHT M. SAMUEL Attorney for Defendant JOSE PENA SAMUEL WONG Assistant U.S. Attorney
DWIGHT M. SAMUEL (CA BAR# 054486)
A PROFESSIONAL CORPORATION
117 J Street, Suite 202
Sacramento, California 95814
916-447-1193
Attorney for Defendant
JOSE PENA
STIPULATION AND ORDER
MODIFYING DEFENDANT JOSE PENA
CONDITION OF RELEASE
IT IS HEREBY stipulated between the United States of America through its undersigned counsel, Assistant United States Attorney Samuel Wong, and defendant Jose Pena through his undersigned counsel Dwight Samuel, hereby agree and stipulate that Defendant Pena's drug testing condition be terminated as recommended by Pretrial Services. Defendant has been under Pretrial Services supervision since October 2010, and has never submitted a positive drug test for any illegal substances.
Accordingly, the parties respectfully request the Court adopt this proposed stipulation in its entirety as its order.
By: ___________
DWIGHT M. SAMUEL
Attorney for Defendant
JOSE PENA
___________
SAMUEL WONG
Assistant U.S. Attorney
ORDER
The Court, having received, read, and considered the stipulation of the parties, and good cause appearing therefrom, adopts the stipulation of the parties in its entirety as its order.
IT IS SO ORDERED.
___________
John A. Mendez
United States District Court Judge