This document is the conclusion of a legal filing from the U.S. Attorney's office, dated July 2, 2020, in case 1:20-cr-00330-AJN. The government argues that the defendant is an extreme flight risk and that no conditions of bail would ensure their presence in court. Citing several legal precedents, the filing respectfully requests that the defendant's application for bail be denied.
This legal document, filed on July 12, 2019, is a memorandum arguing against a defendant's proposal for bail involving home confinement, electronic monitoring, and a private security force. The prosecution contends that these measures are insufficient to ensure the defendant's appearance in court, citing numerous legal precedents that question the security, fairness, and practicality of such "private jail" arrangements. The document asserts that a private security firm cannot replicate the controlled environment of a federal facility and that allowing wealthy defendants to fund their own detention is legally problematic.
This document is the conclusion of a legal filing from the U.S. Government, dated July 2, 2020, submitted by Acting U.S. Attorney Audrey Strauss. The prosecution argues that the defendant is an extreme flight risk and, citing several legal precedents, requests that the court deny any application for bail. The document was signed by Assistant U.S. Attorney Alison Moe.
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