Court filing
MOTION to Seal First Superseding Indictment by USA as to Carla Jackson, Ricky Dixon,… — USA v. Thomas et al (Dkt. 133)
Record facts
| Court | U.S. District Court for the Northern District of Georgia |
|---|---|
| Filed | 2021-07-13 |
U.S. District Court for the Northern District of Georgia · No. 1:20-cr-00296-JPB-CMS · Doc. 133 · 2021-07-13 · Docket on CourtListener
Summary
The government's Motion to Seal First Superseding Indictment, Document 133, filed July 13, 2021 in United States of America v. Ricky Dixon, Meghan Thomas and others, No. 1:20-cr-00296-JPB-CMS, in the U.S. District Court for the Northern District of Georgia, Atlanta Division. Submitted by Acting United States Attorney Kurt R. Erskine and Assistant United States Attorneys Tal C. Chaiken and Nathan P. Kitchens, it asks that the First Superseding Indictment, the motion and the ensuing order be sealed. The motion states that the defendants named in the First Superseding Indictment have not been apprehended and that public disclosure would jeopardize the criminal investigation and make it more difficult and dangerous to arrest them. The caption also names Amanda Christian, Carla Jackson, Derek Parker and Ryan Whittley among the defendants.
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Full text
•1 0R1(~IMA1 U.S.D.C. Atlanta JUL 132021 Kevin By VI~’—” De~y~Ierk IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF GEORGIA ATLANTA DIVISION UNITED STATES OF AMERICA v. Criminal Indictment RICKY DIXON, No. 1 :20-CR-296 MEGHAN THOMAS, JE5IKA BLAKELY, AMANDA CHRISTIAN, First Superseding DWAN ASHONG A/K/A DWAN GILPIN, Indictment JOHN GAINES A/K/A MARTY GAINES, CHARLES PETTY A/K/A CHARLES KNIGHT, JERRY BAPTISTE, UNDER SEAL CARLA JACKSON, DEREK PARKER, DAVID BELGRAvE II, CHARLES HILL IV, RYAN WHITTLEY, EL HADJ SALL, AND RICK MCDuFFIE Motion to Seal First Superseding Indictment The United States of America, by Kurt R. Erskine, Acting United States Attorney, and Tal C. Chaiken and Nathan P. Kitchens, Assistant United States Attorneys for the Northern District of Georgia, respecifully requests that the attached First Superseding Indictment, motion to seal and order be sealed for the following reasons: The defendants named in this First Superseding Indictment have not been apprehended. Public disclosure of the First Superseding Indictment, this motion Case 1:20-cr-00296-JPB-CMS Document 133 Filed 07/13/21 Page 1 of 2 2 and any related orders in this matter would jeopardize this criminal investigation, and make it more difficult and dangerous to arrest the defendants. WHEREFORE, the United States of America respectfully requests that this motion, the First Superseding Indictment and ensuing order be sealed. Submitted this 13th day of July 2021. Respectfully submitted, KURT R. ERKsINE Acting United States Attorney Tal C. Chaiken Assistant United States Attorney Georgia Bar No. 273949 Tal.Chaiken@usdoj.gov Nathan P. Kitchens Assistant United States Attorney Georgia Bar No. 263930 Nathan.Kitchens@usdoj.gov Case 1:20-cr-00296-JPB-CMS Document 133 Filed 07/13/21 Page 2 of 2
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- gov.uscourts.gand.292218.133.0.pdf
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