Opinion
1:20 CR 00121 NONE SKO
07-13-2021
UNITED STATES OF AMERICA, Plaintiff, v. JOSE JESUS GARCIA-HERRERA, Defendant.
DAVID BALAKIAN Attorney for Defendant, JOSE JESUS GARCIA-HERRERA STEPHANIE STOKMAN Stephanie Stokman, Assistant U.S. Attorney Stipulation has been agreed to by Ms. Stockman.
DAVID BALAKIAN Attorney for Defendant, JOSE JESUS GARCIA-HERRERA
STEPHANIE STOKMAN Stephanie Stokman, Assistant U.S. Attorney Stipulation has been agreed to by Ms. Stockman.
ORDER AND STIPULATION MODIFYING CONDITIONS OF RELEASE
THE PARTIES HEREBY STIPULATE AND AGREE that the conditions of release shall be modified. The home detention condition in the Conditions of Release shall be vacated and replaced with a curfew as stated below.
“You must remain inside your residence every day from 8:00 p.m. to 5:00 a.m., or as adjusted by the pretrial services officer for medical, religious services, employment or court-ordered obligations.”
All other previously ordered terms and conditions of release shall remain in full force and effect.
Pretrial Services is in agreement with this modification.
ORDER
Pursuant to the parties' stipulation, the home detention condition in the Conditions of Release shall be vacated and replaced with a curfew as stated below.
“You must remain inside your residence every day from 8:00 p.m. to 5:00 a.m., or as adjusted by the pretrial services officer for medical, religious services, employment or ourt-ordered obligations.”
All other previously ordered terms and conditions of release shall remain in full force and effect.
IT IS SO ORDERED.