Opinion
2:22-cr-00060-GMN-NJK
08-09-2022
DANIEL SCHIESS ATTORNEY FOR THE UNITED STATES RICHARD TANASI ATTORNEY FOR YOASH AZAMA
DANIEL SCHIESS ATTORNEY FOR THE UNITED STATES
RICHARD TANASI ATTORNEY FOR YOASH AZAMA
FIRST STIPULATION TO MODIFY CONDITIONS OF RELEASE
IT IS HEREBY STIPULATED AND AGREED, by and between the United States of America, by and through Assistant United States Attorney, Daniel Schiess, and Yoash Azama, by and through his attorney, Richard E. Tanasi, Esq., that Mr. Azama's conditions of release be modified to permit travel to Miami, Florida from September 23, 2022 to September 30, 2022.
This Stipulation is entered into for the following reasons:
1. The Jewish New Year is on September 25, 2022. Mr. Azama's family is gathering for this important holiday. In addition to spending time with his loved-ones, Mr. Azama will be able to see family members in person to discuss his pending sentencing. As a result, Mr. Azama will be in a better and more personal position to gather meaningful character letters for sentencing.
2. Mr. Azama has been incident free while on pretrial release.
3. Counsel for Mr. Azama has contacted his supervising Pretrial Services Officer, Mariah Bassler-Wide, who has no objection to Mr. Azama's request. The government also does not oppose this request.
ORDER
Pending before the Court is the parties' first stipulation to modify conditions of pretrial release. The parties ask the Court to modify Defendant's pretrial release conditions to permit him travel to Miami, Florida from September 23, 2022 to September 30, 2022 for sentencing and personal purposes. The parties submit that Defendant's Pretrial Services Officer does not object to this request.
IT IS ORDERED that the parties' stipulation is hereby GRANTED.