Opinion
1:19-CR-00256-DAD-SKO
07-01-2021
UNITED STATES OF AMERICA, Plaintiff, v. JULIO CESAR MORENO GARCIA, Defendants.
JOHN MEYER Attorney for Tauri Valera. BENJAMIN B. WAGNER, Jeffrey Spivak Assistant United States Attorney. John Meyer Counsel for JULIO CESAR MORENO GARCIA.
JOHN MEYER Attorney for Tauri Valera.
BENJAMIN B. WAGNER, Jeffrey Spivak Assistant United States Attorney.
John Meyer Counsel for JULIO CESAR MORENO GARCIA.
ORDER AND STIPULATION REGARDING MODIFICATION OF PRE-TRIAL RELEASE
BARBARA A. MCAULIFFE, UNITED STATES MAGISTRATE JUDGE.
STIPULATION
1. By previous order, Mr. Moreno Garcia was released on terms and conditions.
a) As a term of the release of Mr. Moreno Garcia the court ordered him confined on house arrest.
b) He has had no issues while on pre-trial release and has followed all rules set forth by the pre-trial office.
c) Recently, family members within the household where Mr. Moreno Garcia resides have had medical issues that require Mr. Moreno Garcia's assistance.
d) The assistance required may involve leaving the house at which he is staying.
e) Pre-trial services is in agreement with a modification of Mr. Moreno Garcia's release terms from that of house arrest to one of a curfew from 9pm to 6am or as adjusted by the pretrial services officer for medical, religious services, employment or court-ordered obligations.
f) The government has no objection to the proposed order.
IT IS SO STIPULATED.
ORDER
Based upon the stipulation and representations of the parties, the Court adopts the proposed stipulations, and orders that the condition of release be modified from house arrest to one of a curfew from 9pm to 6am or as adjusted by the pretrial services officer for medical, religious services, employment or court-ordered obligations.
IT IS SO ORDERED.