Free Order on Motion for Bond - District Court of Connecticut - Connecticut


File Size: 88.6 kB
Pages: 3
Date: December 8, 2004
File Format: PDF
State: Connecticut
Category: District Court of Connecticut
Author: unknown
Word Count: 729 Words, 4,729 Characters
Page Size: 612.72 x 1008 pts
URL

https://www.findforms.com/pdf_files/ctd/21857/92.pdf

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i ` _ . Case 3:03-cr-00105-RNC Document 92 Filed 12/08/2004 Page 1 of 3
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i To: The Honorable onna F. Martinez CPURT
United State ` trate Judge ’ *“` ~‘*“~}· LT-
i From: Kattya Lop
i United States robation Officer
i Subject: CAINES, Cheryl
l Docket #: 3:03CR105(RNC)
BoND MODIFICATION REQUEST
Date: December 6, 2004
On April 24, 2003, the defendant was presented before Your Honor for an initial
presentment under Docket No. 3:03CR‘l05(RNC). Ms. Caines was charged with
Possession with Intent to Distribute Cocaine Base, in violation of 21 U.S.C.
§ 841(a)(1). At that time the defendant was released on a $100,000 non-surety
bond with the following conditions of release.
1. The defendant shall not commit any offense in violation of federal,
state, or local law.
2. The defendant shall immediately advise the Court, defense counsel,
and the U.S. Attorney in writing of any change in address and
telephone number. i
3. The defendant shall appear at all proceedings as required and shall N
surrender for service of any sentence imposed as directed. ,
4. The defendants travell is restricted to the District of Connecticut and i
Massachusetts for court related matters.
5. The defendant shall have no direct or indirect contact with any known `
co-defendants, witnesses or gang members and she is not to enter ,
any gambling establishments and shall not gamble in any form. i
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6. The defendant shall report to the U.S. Probation Office as directed.
7. The defendant shall submit to drug testing/counseling within the
discretion of the pretrial services officer.
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i “ " ‘ Case 3:03-cr-00105-RNC Document 92 Filed 12/08/2004 Page 2 of 3 r
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8. The defendant shall refrain from possessing a firearm, destructive
device or other dangerous weapons.
9. The defendant shall refrain from excessive use of alcohol and any
use or possession of a narcotic drug, unless prescribed by a licensed
i medical practitioner.
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10. The defendant shall refrain from obtaining a passport.
r 11. The defendant shall participate in an inpatient drug treatment
V program.
On July 14, 2004, the defendant appeared before Your Honor and entered a guilty Q
plea. Sentencing was scheduled for October 1, 2004 but was rescheduled for ,
December 3, 2004 to give the defendant an opportunity to participate and complete “
an inpatient drug treatment program.
On October 30, 2004, Ms. Caines failed to notify the probation office that she was
discharged from the Salvation Army Drug Rehabilitation Program. On November
2, 2004, a warrant was issued by the Court for Ms. Caines’ arrest. However, on
November 9, 2004, Ms. Caines was located where she admitted herself at
St. Francis HospitaI’s adult dual diagnosis unit.
On November 15, 2004, Ms. Caines was transferred to the StoneHaven inpatient
program in Portland, CT which is affiliated with St. Francis Hospital. The defendant
has been attending treatment since her admission at this program; however, she will
be discharged soon and Ms. Caines does not have a home to return to.
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On December 6, 2004, I spoke with AUSA Ray Miller who did not object this l
request. Prior conversations with defense counsel John Andreini indicate that he
would not object to this request. ,
RECOMMENDATIONS: N
The defendant has been at the StoneHaven Program in Portland, CT and is i
scheduled to be discharged soon. As stated above, Ms. Caines does not have a
home to return to, therefore, the U.S. Probation Office is requesting that a condition
be added to the bond where the defendant will be allowed to reside at a halfway
house until the time of her sentencing which was recently rescheduled to January
2005.

` M { - -° . Case 3:03-cr-00105-RNC Document 92 Filed 12/08/2004 Page 3 of 3
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[ The onorable Donna F. Martinez The Honorable Donna F. Martinez
I United States Magistrate Judge United States Magistrate Judge
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John Andreini, Defense Attorney gz; ¤·-··
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