Opinion
2:20-cr-00196-KJM
06-30-2021
HEATHER E. WILLIAMS, #122664 Federal Defender HANNAH LABAREE, #294338 Assistant Federal Defender Attorney for Defendant MICHAEL UZIEWE
HEATHER E. WILLIAMS, #122664 Federal Defender
HANNAH LABAREE, #294338 Assistant Federal Defender
Attorney for Defendant MICHAEL UZIEWE
UNOPPOSED MOTION TO AMEND CONDITIONS OF PRETRIAL RELEA
ALLISON CLAIRE UNITED STATES MAGISTRATE JUDGE
Mr. Uziewe, through Assistant Federal Defender Hannah R. Labaree, attorney for MICHAEL UZIEWE, hereby moves that special condition #15 of Mr. Uziewe's pretrial release (CR 20) (home detention) be removed. Counsel for the government has no objection to this request.
Mr. Uziewe was released onto pretrial services supervision on December 9, 2020. CR 12. He lives at his home in Atlanta, Georgia, and is supervised by Pretrial Officer Steven Witherspoon out of the United States Probation Office in the Northern District of Georgia. Mr. Uziewe has been in compliance with his conditions of release. Officer Witherspoon has no objection to the proposed removal of the home detention condition.
Mr. Uziewe therefore moves for the removal of special condition #15. As stated above, counsel for the government has no objection.
[Proposed] ORDER
The Court, having received, read, and considered the unopposed motion of the defense, and good cause appearing, adopts the stipulation in its entirety as its order. The Court ORDERS that Special Condition #15 be removed. The remaining conditions of release are to remain in full effect.