Free Motion for Miscellaneous Relief - District Court of Colorado - Colorado


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Date: August 22, 2006
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State: Colorado
Category: District Court of Colorado
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Case 1:00-cr-00455-DBS

Document 124

Filed 08/22/2006

Page 1 of 3

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Criminal Case No. 00-cr-00455-DBS UNITED STATES OF AMERICA, Plaintiff, v. ANNE ELIZABETH HUENNEKENS, Defendant, and EINSTEIN BAGEL, Garnishee.

MOTION FOR ENTRY OF GARNISHEE ORDER

Plaintiff United States of America respectfully moves for entry of a Garnishee Order directed to Einstein Bagel, Garnishee. As grounds therefore, the United States advises as follows: 1. Upon application of the United States, the Clerk of the Court issued a Writ

of Garnishment, directed to Garnishee, on June 29, 2006. 2. As set forth in the attached Declaration of Carolyn Dean, the Writ of

Continuing Garnishment and the Clerk's Notice of Post-Judgment Garnishment were sent to the Garnishee by certified mail, and the Garnishee received the documents on July 5, 2006. Dean Declaration, Ex. 1, ¶ 2; Certified Mail Receipt, Ex. 2. 3. The Application for Writ of Garnishment, Writ of Garnishment, and Clerk's

Notice of Post-Judgment Garnishment, were mailed to the judgment debtor by certified

Case 1:00-cr-00455-DBS

Document 124

Filed 08/22/2006

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mail on July 5, 2006, at her last known address. These documents notified defendant of the right to request, within twenty days, a hearing to determine exempt property. Defendant did not claim envelope at the Post Office. Dean Decl., Ex. 1, ¶ 3. 4. The Garnishee filed an answer on July 20, 2006, stating that it had in its

possession or under its control personal property belonging to and due Defendant, and that it was indebted to Defendant in the form of wages. 5. Defendant has not filed a request for a hearing.

WHEREFORE, pursuant to 28 U.S.C. § 3205(c)(7), the United States respectfully requests that the Court enter a Garnishee Order directing the Garnishee to pay 25% of Defendant's disposable wages to the United States each pay period, continuing until the judgment debt is paid in full or until the Garnishee no longer has custody, possession or control of any property belonging to the Defendant, or until further order of this Court. Respectfully submitted, TROY A. EID United States Attorney

Dated: August 22, 2006

S/ Lisa A. Christian LISA A. CHRISTIAN Assistant U. S. Attorney 1225 17th Street, Suite 700 Denver, CO 80202 Phone: 303-454-0100 Fax: (303) 454-0404 [email protected] Attorneys for Plaintiff United States of America

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Case 1:00-cr-00455-DBS

Document 124

Filed 08/22/2006

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CERTIFICATE OF SERVICE I hereby certify that on August 22, 2006 I electronically filed the foregoing with the Clerk of the Court using the ECF system which will send notification of such filing to the following email addresses: [email protected] In addition, I hereby certify that I have mailed the document to the following non CM/ECF participants: Anne Huennekens 4681 S. Decatur Street, #221 Englewood, CO 80110 Einstein Bagel 1675 Broadway, #1200 Denver, CO 80202 s/ Lisa A. Christian LISA A. CHRISTIAN Office of the United States Attorney 1225 17th Street, Suite 700 Denver, Colorado 80202 (303) 454-0100

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