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United States v. Tellis

UNITED STATES DISTRICT COURT DISTRICT OF NEVADA
Feb 7, 2013
2:12-cr-176-LDG-PAL (D. Nev. Feb. 7, 2013)

Opinion

2:12-cr-176-LDG-PAL

02-07-2013

UNITED STATES OF AMERICA, Plaintiff, v. DEMITRUS LEE TELLIS, Defendant.

RENE L. VALLADARES Federal Public Defender BRENDA WEKSLER Assistant Federal Public Defender Attorneys for DEMITRUS LEE TELLIS


RENE L. VALLADARES
Federal Public Defender
BRENDA WEKSLER
Assistant Federal Public Defender
Attorneys for
DEMITRUS LEE TELLIS

UNOPPOSED MOTION TO WITHDRAW

THE MOTION TO SUPPRESS

EVIDENCE BASED ON FOURTH

AMENDMENT VIOLATIONS

COMES NOW the defendant, DEMITRUS LEE TELLIS, by and through his

counsel of record, BRENDA WEKSLER, Assistant Federal Public Defender, who files this Motion to Withdraw The Motion to Suppress Evidence Based on Fourth Amendment Violations [Evidentiary Hearing Requested] (#30). This motion is based upon the attached Memorandum of Points and Authorities and all of the papers and pleadings on file herein.

RENE L. VALLADARES

Federal Public Defender

By ____________

BRENDA WEKSLER,

Assistant Federal Public Defender

MEMORANDUM OF POINTS AND AUTHORITIES


FACTUAL BACKGROUND

On December 3, 2012, a Motion to Suppress Evidence tor Fourth Amendment Violation was filed in the instant case. A Superseding Information (#44) and Plea Agreement (#46) were filed during the Change of Plea Hearing held on February 5, 2013, rendering the motion and evidentiary hearing unnecessary. Mr. Tells, through his attorney of record, BRENDA WEKSLER, hereby respectfully requests that this court withdraw his Motion to Suppress Evidence for Fourth Amendment Violation.

Respectfully submitted,

By: ____________

BRENDA WEKSLER

Assistant Federal Public Defender

IT IS SO ORDERED this 7th day

of February, 2013.

___________

Peggy A. Leen

United States Magistrate Judge

CERTIFICATE OF ELECTRONIC SERVICE

The undersigned hereby certifies that I am an employee of the Law offices of the Federal Public Defender for the District of Nevada and am a person of such age and discretion as to be competent to serve papers.

That on February 6, 2013, I served an electronic copy of the above and foregoing UNOPPOSED MOTION TO WITHDRAW THE MOTION TO SUPPRESS EVIDENCE BASED ON FOURTH AMENDMENT VIOLATIONS by electronic service (ECF) to the person named below:

DANIEL G. BOGDEN
United States Attorney
PHILLIP N. SMITH, JR.
Assistant United States Attorney
333 Las Vegas Blvd. So., 5th Floor
Las Vegas, Nevada 89101

____________

Senior Legal Assistant to,

BRENDA WEKSLER

Assistant Federal Public Defender


Summaries of

United States v. Tellis

UNITED STATES DISTRICT COURT DISTRICT OF NEVADA
Feb 7, 2013
2:12-cr-176-LDG-PAL (D. Nev. Feb. 7, 2013)
Case details for

United States v. Tellis

Case Details

Full title:UNITED STATES OF AMERICA, Plaintiff, v. DEMITRUS LEE TELLIS, Defendant.

Court:UNITED STATES DISTRICT COURT DISTRICT OF NEVADA

Date published: Feb 7, 2013

Citations

2:12-cr-176-LDG-PAL (D. Nev. Feb. 7, 2013)