Free Motion for Bond - District Court of Colorado - Colorado


File Size: 60.7 kB
Pages: 6
Date: March 24, 2006
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State: Colorado
Category: District Court of Colorado
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Case 1:04-cr-00403-LTB

Document 637

Filed 03/24/2006

Page 1 of 6

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Criminal Case No. 04-cr-00403-LTB UNITED STATES OF AMERICA, Plaintiff, v. 5. JOSE ALFREDO ZAPATA, et al, Defendants. ________________________________________________________________________ RENEWED MOTION FOR RELEASE ON BOND AND REQUEST FOR PROMPT HEARING THEREON ________________________________________________________________________ Comes now Defendant Jose Alfredo Zapata, through counsel, Richard J. Banta, and, pursuant to Rule 47, Fed. R. Cr. P., and 18 U.S.C. § 3142, respectfully moves the Court for an Order granting this Motion. In support of such Motion, Defendant states the following: 1. Defendant was indicted on September 21, 2004 along with 18 other individuals for violating federal drug laws. 2. Defendant has been in custody since his arrest in August of 2004. 3. The Court at Defendant's previous bond hearing stated it would not consider the issue of bond as long as there was a detainer lodged against Defendant with the possibility that Defendant would be deported. 4. It is important to note that Defendant was in custody for over 14 months before the detainer in this case was filed, and that it was originally filed in response to Defendant's first motion for bond.

Case 1:04-cr-00403-LTB

Document 637

Filed 03/24/2006

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5. BICE Special Agent Ed Schwaigert has now advised pretrial services that if Defendant is granted a bond the detainer will be dropped. 6. Attached to this Motion is a memorandum from U. S. Probation Officer Laura D. Ansart to Magistrate Judge Boyd N. Boland setting forth the details of Agent Schwaigert's current position on the detainer. 7. Numerous other Defendants with the same or similar degree of alleged culpability have been released on bond, including Ramon Zapata, Arnolodo Zapata, and Sergio Zapata. 8. The family of Jose Alfredo Zapata is prepared to post a bond secured by property substantially similar to the bond posted by Sergio Zapata. 9. Defendant submits there are a combination of factors that will assure his appearance and the safety of the community. 18 U.S.C. § 4142(d). 10. Defendant has been in the United States lawfully since 1975; he has no significant ties to Mexico. 11. He has a wife who lives in El Paso, Texas. 12. He has four children who also live in the United States. 13. Among the conditions that can be imposed are that Defendant reside in Colorado and be on electronic monitoring. 14. Defendant can reside with his mother Juliana Zapata at 919 South Raleigh Street, Denver, CO 80219. 15. There is in place an extra phone line at the Raleigh house that will allow electronic monitoring

Case 1:04-cr-00403-LTB

Document 637

Filed 03/24/2006

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16. Defendant through counsel will present evidence and make arguments in support of this Motion at a hearing. 17. Defendant's continued detention implicates his Fifth Amendment Due Process rights. Cf. United States v. Theron, 782 F.2d 1510 (10th Cir. 1986). 18. Assistant U.S. Attorney Stephanie Podolak opposes this Motion. 19. For scheduling purposes, counsel for Defendant will be unavailable from March 26, 2006 until March 30, 2006. Wherefore, Defendant Zapata respectfully prays that the Court enter an Order granting this Motion, and granting such further relief as the court deems just and proper.

Respectfully submitted,

/s/Richard J. Banta____ Richard J. Banta, PC 1361 Elizabeth St. Denver, CO 80206 303-860-8048

CERTIFICATE OF SERVICE I hereby certify that on March 3rd, 2006 I electronically filed the foregoing motion with the Clerk of Court using the CM/ECF system which will send notification of such filing to the following e-mail addresses:
· · · ·

Mitchell Baker [email protected] [email protected] Thomas K. Carberry [email protected] James A. Castle [email protected] [email protected] Lisabeth Perez Castle [email protected] [email protected]

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· · · · · · · · · · · · ·

· · · · · · · · ·

Robert Justin Driscoll [email protected] [email protected] Charles W. Elliott [email protected] [email protected] Martha Horwitz Eskesen [email protected] Jennifer L. Gedde [email protected] Daniel P. Gerash [email protected] [email protected] Walter L. Gerash [email protected] [email protected] Mark Cameron Johnson [email protected] Forrest W. Lewis [email protected] Donald L. Lozow [email protected] Neil E. MacFarlane [email protected] Jeffrey S. Pagliuca [email protected] [email protected] Lynn Anne Pierce [email protected] Stephanie Podolak [email protected] [email protected];[email protected] Scott T. Poland [email protected] Michael Gary Root [email protected] James F. Scherer [email protected] Harvey Abe Steinberg [email protected] [email protected] John F. Sullivan, III [email protected] Richard L. Tegtmeier [email protected] [email protected] E. Richard Toray [email protected] [email protected] Jonathan S. Willett [email protected] [email protected] Earl Sherwood Wylder [email protected] [email protected]

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and I hereby certify that I have mailed or served the document or paper to the following non CM/ECF participant in the manner (mail, hand-delivery) indicated by the nonparticipant's name:
Angelica B. Carreon Angelica B. Carreon, P.C. 210 North Campbell El Paso, TX 79901 Lucia Consuelo Gallery Isaacson Rosenbaum, P.C. 633 - 17th Street #2200 Denver, CO 80202 Charles Louis Roberts Charles Louis Roberts, Attorney at Law 101 South Kansas El Paso, TX 79901 Anita Marcia Springsteen Anita Marcia Springsteen, Attorney at Law 5000 West 13th Avenue Denver, CO 80204

/s/Richard J. Banta____ Richard J. Banta

Case 1:04-cr-00403-LTB

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