Opinion
2:17-CR-244-APG-NJK
02-06-2023
Thomas F. Pitaro, Esq. THOMAS F. PITARO, ESQ. Nevada Bar No. 1332 Attorney for Defendant Jim W Fang, Esq. JIM W FANG Assistant United States Attorney Attorney for the United States
Thomas F. Pitaro, Esq.
THOMAS F. PITARO, ESQ.
Nevada Bar No. 1332
Attorney for Defendant
Jim W Fang, Esq.
JIM W FANG
Assistant United States Attorney
Attorney for the United States
STIPULATION AND ORDER TO TRAVEL
IT IS HEREBY STIPULATED AND AGREED, by and between JIM W. FANG, Assistant United States Attorney, counsel for the United States of America, and THOMAS F. PITARO, ESQ., counsel for BRIAN SORENSEN; that Defendant Sorensen's pretrial release conditions be temporarily modified to allow him to travel outside of Las Vegas, Nevada as set forth below. This stipulation is entered into for the following reasons.
1. Sorensen will be traveling with his mother to travel to Kauai, Hawaii from February 16, 2023 through February 23, 2023.
2. The Pretrial Services Officer supervising Sorensen informs the Government that she has no objection to Sorensen traveling to Kauai, Hawaii and that Sorensen has to date complied with his conditions of release.
3. As a condition of Sorensen's pretrial release he is restricted to travel.
Accordingly, the parties hereby request that the Court temporarily modify Sorensen's conditions to allow him to travel under the following conditions:
1. Sorensen will be allowed to travel to Kauai, Hawaii from Las Vegas, Nevada on February 16, 2023 through February 23, 2023.
2. Within 24 hours of his return to Las Vegas, Nevada, Sorensen will check in with his pretrial officer.
ORDER
Based upon the Stipulation of Counsel, and with good cause appearing, IT IS SO ORDERED.