Opinion
No. CR 11-00510 PJH
05-07-2013
UNITED STATES OF AMERICA, Plaintiff, v. ANNALIESSE FRANZISKA, Defendant.
JULIANA DROUS Attorney for Defendant ANNALIESSE FRANZISKA KESLIE STEWART Assistant U.S. Attorney
JULIANA DROUS
Attorney at Law SBN 92156
214 Duboce Avenue
San Francisco, California 94103
Telephone: (415) 863-3580
Fax: (415) 255-8631
Attorney for Defendant
ANNALIESSE FRANZISKA
STIPULATION AND ORDER RE:
MODIFICATION OF TRAVEL
CONDITIONS
IT IS HEREBY STIPULATED by the parties in the above-entitled action that defendant ANNALIESSE FRANZISKA's travel conditions imposed as a condition of pre-trial release, be modified to allow Ms. Franziska to travel to Joplin, Missouri to attend her son's graduation from Missouri State University. She will travel to Joplin, Missouri on May 10, 2013, and return to Oakland, California on May 13. 2013.
Pre-trial Services Officer Carol Mendoza has no objection to this travel.
________________
JULIANA DROUS
Attorney for Defendant
ANNALIESSE FRANZISKA
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KESLIE STEWART
Assistant U.S. Attorney
IT IS SO ORDERED.
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Magistrate Judge Laurel Beeler