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    28LAW OFFICES

    506 BROADWAY

    SAN FRANCISCO

    (415) 986-5591

    Fax: (415) 421-1331

    1

    J. TONY SERRA #32639SHARI L. WHITE #180438506 BroadwaySan Francisco CA 94133Telephone: 415/986-5591Facsimile: 415/421-1331

    Attorneys for DefendantJAMIE HARMON

    UNITED STATES DISTRICT COURTNORTHERN DISTRICT OF CALIFORNIA

    SAN JOSE DIVISION

    UNITED STATES OF AMERICA,

    Plaintiff,

    v.

    JAMIE HARMON,

    Defendant./

    No. CR 08-938 JW

    EX PARTE MOTION TO PERMITTRAVEL AND [PROPOSED] ORDER

    Defendant HARMON was indicted on six felony charges:

    conspiracy to launder monetary instruments (Count Two) and

    laundering of monetary instruments (Counts Three through Seven)

    in violation of 18 U.S.C. 1956(h) and 1956(A)(i)(b)(i),

    respectively. On January 7, 2009, she appeared and was released

    on a $100,000 signature bond. A trial by jury of the matter was

    commenced on July 6, 2010.

    On July 20, 2010, the jury was unable to reach a unanimous

    verdict on the conspiracy count, Count Two, but convicted

    Defendant on the remaining substantive counts. The court

    declared a mistrial as to Count Two. She has attended all

    required hearings and appearances since that time.

    Case5:08-cr-00938-JW Document209 Filed04/06/11 Page1 of 3

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    28LAW OFFICES

    506 BROADWAY

    SAN FRANCISCO

    (415) 986-5591

    Fax: (415) 421-1331

    2

    Among the conditions of her signature bond release is the

    restriction that she not travel outside the Northern District of

    California. Ms. Harmon has complied fully with the order of the

    Court and attended each required hearing as ordered.

    Ms. Harmon requests permission to travel within the United

    States, specifically to the State of Colorado. Ms. Harmon

    intends to leave the State of California on April 12, 2011, and

    return on April 18, 2011.

    Jaime Carranza, with pretrial services, has been consulted

    regarding this proposed travel and does not object. All travel

    itinerary will be provided directly to Mr. Carranza.

    Dated: April 6, 2011 Respectfully submitted,

    /s/ J. TONY SERRAJ. TONY SERRASHARI L. WHITEAttorneys for DefendantJAMIE HARMON

    Case5:08-cr-00938-JW Document209 Filed04/06/11 Page2 of 3

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