Opinion
2:21-CR-00104 TLN
12-29-2021
Philip Cozens Attorney for Defendant Maurice Bryant Cameron Desmond Assistant United States Attorney Attorney for Plaintiff
Philip Cozens Attorney for Defendant Maurice Bryant
Cameron Desmond Assistant United States Attorney Attorney for Plaintiff
DEFENDANT BRYANT'S [PROPOSED] STIPULATION TO MODIFY TERMS OF PRE-TRIAL RELEASE
JEREMY D. PETERSON UNITED STATES MAGISTRATE JUDGE
Maurice Bryant respectfully requests his special conditions of release be modified to allow him (Maurice Bryant) to have contact with his brother, co-defendant Mark A. Martin. Specifically, Maurice Bryant requests Special Condition of Release #9 (ECF 93) be modified to state: "(9) You must not associate or have any contact with the co-defendants named in the Indictment, with the exception of your brother Mark A. Martin, whom you shall not discuss the case with, unless in the presence of counsel or otherwise approved in advance by the pretrial services officer." Pretrial Services and counsel for the government were consulted regarding this request and neither has an objection. As such, Maurice Bryant respectfully requests he be granted the relief sought herein. Pretrial Services advised Defendant's counsel Defendant is presently in compliance with his release conditions and there have been no previous issues with the Defendant and compliance with his release conditions.
It is stipulated by the Government that term 9 of the terms of release for Defendant Maurice Bryant (ECF 93) may be modified as stated in the Proposed Stipulation.
Defendant Maurice Bryant's Special Condition of Release #9 (ECF 93) is hereby modified to state: "(9) You must not associate or have any contact with the co-defendants named in the Indictment, with the exception of your brother whom you shall not discuss the case with, unless in the presence of counsel or otherwise approved in advance by the pretrial services officer."
IT IS SO ORDERED.