Court filing
Unopposed Motion to Travel by Arashio Harris — USA v. Harris (Dkt. 14, S.D. Fla.)
Filed September 6, 2023 in USA v. Harris; one of 8 filings from this case.
Record facts
| Court | U.S. District Court for the Southern District of Florida |
|---|---|
| Filed | 2023-09-06 |
U.S. District Court for the Southern District of Florida · No. 1:23-cr-20295-CMA · Doc. 14 · 2023-09-06 · Docket on CourtListener
Full text
LAW OFFICES OF MARK EIGLARSH
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
UNITED STATES OF AMERICA )
)
vs.
)
CASE NO. 23-CR-20295-CMA
)
)
ARASHIO HARRIS
)
)
Defendant.
)
_____________________________ )
UNOPPOSED MOTION FOR PERMISSION TO TRAVEL
COMES NOW the Defendant, Arashio Harris by and through undersigned counsel,
pursuant to Florida Rules of Criminal Procedure and files this Unopposed Motion for
Permission to Travel. In support thereof respondent alleges the following:
1. On August 9, 2023, Mr. Harris pled guilty to the charges. Sentencing is set for
October 27, 2023.
2. While on release, Mr. Harris has been exemplary, abiding by all the terms and
conditions imposed by the Court.
3. Mr. Harris is seeking permission from the Court to transport his daughter to an event
that she has in Jacksonville on September 9, 2023.
4. Mr. Harris’ daughter, who is an F.I.U. college student, will be attending an event
entitled, “Bridging the Gap Between Black Women and Medicine.” It is for a student
medical organization for which she serves as president.
5. Her original transportation plans recently fell through.
6. Mr. Harris would like permission to travel with his wife, daughter, and three of her
organization members. They would be driving Mr. Harris’ wife's SUV. They would
be leaving Friday, September 8, 2023, and would be returning on or before
September 10, 2023.
7. While in Jacksonville they will be staying at the Wyndham Garden Jacksonville,
located at 4660 Salisbury Rd, Jacksonville, FL 32256. Their telephone # is (904)281-
0900.
8. AUSA Ed Stamm has no objection to this request.
Case 1:23-cr-20295-CMA Document 14 Entered on FLSD Docket 09/06/2023 Page 1 of 2
LAW OFFICES OF MARK EIGLARSH
WHEREFORE, based upon the above and foregoing the Defendant respectfully
requests this Court to grant the instant motion.
I HEREBY CERTIFY that a true and correct copy of the foregoing was
electronically filed this 6th day of September, 2023.
Respectfully submitted,
LAW OFFICES OF MARK EIGLARSH
3107 Stirling Road
Suite 207
Fort Lauderdale, Florida 33312
Telephone: (954) 500-0003
Facsimile: (305) 674-0102
Email: Mark@EiglarshLaw.com
BY: _/S/_MARK EIGLARSH______________
MARK EIGLARSH
Florida Bar No.: 956414
Case 1:23-cr-20295-CMA Document 14 Entered on FLSD Docket 09/06/2023 Page 2 of 2File and source
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