Opinion
2:21-CR-0007-MCE
07-30-2021
UNITED STATES OF AMERICA, Plaintiff, v. CHRISTOPHER KEEGAN WILLIAMS, Defendant.
KRISTY M. HORTON Attorney for Christopher Williams PHILLIP A. TALBERT Acting United States Attorney DAVID SPENCER Assistant United States Attorney
KRISTY M. HORTON Attorney for Christopher Williams
PHILLIP A. TALBERT Acting United States Attorney
DAVID SPENCER Assistant United States Attorney
DEFENDANT'S STIPULATION AND [PROPOSED] ORDER
JEREMY D. PETERSON UNITED STATES MAGISTRATE JUDGE
STIPULATION
DEFENDANT, Christopher Keegan Williams, by and through counsel, hereby stipulates that the detention hearing for the pretrial release violation be vacated on August 2, 2021. The government continues to move for revocation of Mr. Williams' release pursuant to 18 U.S.C. § 3148, based on the information in the Pretrial Services Violation Petition (ECF No. 190) and the Pretrial Services Memorandum, dated July 28, 2021. Mr. Williams submits the matter to the Court based upon the Violation Petition and Memorandum filed by Pretrial Services. The Assistant United States Attorney has been informed of the request and does not object and joins in the stipulation.
ORDER
IT IS SO ORDERED.