Pandemic Darlings The pandemic economy, in original documents
Home Court filings Carl Bradley Johansson USA v. Western Distribution, LLC et al — C.D. Cal., Carl Bradley Johansson Notice of Request for Detention — USA v. Western Distribution, LLC. et al. (Dkt. 11, C.D. Cal.)

Court filing

Notice of Request for Detention — USA v. Western Distribution, LLC. et al. (Dkt. 11, C.D. Cal.)

Filed July 1, 2021 in Carl Bradley Johansson; one of 66 filings from this case.

Record facts

CourtU.S. District Court for the Central District of California
Filed2021-07-01

U.S. District Court for the Central District of California · No. 5:21-cr-00170-JGB · Doc. 11 · 2021-07-01 · Docket on CourtListener

Full text

1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
FILED
CLERK, U.S. DISTRICT COURT
07/01/2021
TRACY L. WILKISON 
CENTRAL DISTRICT OF CALIFORNIA
Acting United States Attorney 
BY: jbb 
DEPUTY
SCOTT M. GARRINGER
Assistant United States Attorney
Chief, Criminal Division
JOSEPH O. JOHNS (Cal. Bar. No. 144524)
MATTHEW W. O'BRIEN (Cal. Bar No. 261568)
Assistant United States Attorneys
Environmental and Community Safety Crimes Section
1300 United States Courthouse
312 North Spring Street
Los Angeles, California 90012
Telephone: (213) 894-4536/8644
Facsimile: (213) 894-0141
E-mail: 
Joseph.johns@usdoj.gov
Matthew.0'Brien@usdoj.gov
Attorneys for Plaintiff
UNITED STATES OF AMERICA
UNITED STATES DISTRICT COURT
FOR THE CENTRAL DISTRICT OF CALIFORNIA
UNITED STATES OF AMERICA, 
No. CR 
5:21-mj-00461
Plaintiff, GOVERNMENT'S NOTICE OF REQUEST FOR
v.
CARL BRADLEY JOHANSSON,
aka ~~Brad Johansson, "
aka "Brad Johnson,"
aka ~~Carl Johnson, "
aka "C. Brad Johanson,"
aka "Jay Johnson,"
aka "Keith Golatta,"
Defendant.
Plaintiff, United States of America, by and through its counsel
of record, hereby requests detention of defendant and gives notice of
the following material factors:
1. 
Temporary 10-day Detention Requested (§ 3142(d)) on the
following grounds:
Case 5:21-cr-00170-JGB     Document 11     Filed 07/01/21     Page 1 of 5   Page ID #:70

1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
a. 
present offense committed while defendant was on release
pending (felony trial),
b. 
defendant is an alien not lawfully admitted for
permanent residence; and
c. 
defendant may flee; or
d. 
pose a danger to another or the community. 
'~
2. 
Pretrial Detention Requested (§ 3142(e)) because no
condition or combination of conditions will reasonably
assure:
a. 
the appearance of the defendant as required;
b. 
safety of any other person and the community.
3. 
Detention Requested Pending Supervised Release/Probation
Revocation Hearing (Rules 32.1(a)(6), 46(d), and 18 U.S.C.
§ 3143(a)):
a. 
defendant cannot establish by clear and convincing
evidence that he/she will not pose a danger to any
other person or to the community;
b. 
defendant cannot establish by clear and convincing
evidence that he/she will not flee.
4. 
Presumptions Applicable to Pretrial Detention (18 U.S.C.
§ 3142(e)):
a. 
Title 21 or Maritime Drug Law Enforcement Act (~~MDLEA")
(46 U.S.C. App. 1901 et seq.) offense with 10-year or
greater maximum penalty (presumption of danger to
community and flight risk);
2
Case 5:21-cr-00170-JGB     Document 11     Filed 07/01/21     Page 2 of 5   Page ID #:71

1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
b. 
offense under 18 U.S.C. §~ 924(c), 956(a), 2332b, or
2332b(g)(5)(B) with 10-year or greater maximum penalty
(presumption of danger to community and flight risk);
c. 
offense involving a minor victim under 18 U.S.C.
~~ 1201, 1591, 2241, 2242, 2244(a)(1), 2245, 2251,
2251A, 2252 (a) (1)-(a) (3), 2252A(a) (1)-2252A(a) (4),
2260, 2421, 2422, 2423 or 2425 (presumption of danger
to community and flight risk);
d. 
defendant currently charged with an offense described
in paragraph 5a - 5e below, AND defendant was
previously convicted of an offense described in
paragraph 5a - 5e below (whether Federal or
State/local), AND that previous offense was committed
while defendant was on release pending trial, AND the
current offense was committed within five years of
conviction or release from prison on the above-
described previous conviction (presumption of danger to
community).
K 5. 
Government Is Entitled to Detention Hearing Under § 3142 (f)
If the Case Involves:
a. 
a crime of violence (as defined in 18 U.S.C.
§ 3156(a)(4)), a violation of 18 U.S.C. § 1591, or
Federal crime of terrorism (as defined in 18 U.S.C.
~ 2332b(g)(5)(B)) for which maximum sentence is 10
years' imprisonment or more;
b. 
an offense for which maximum sentence is life
imprisonment or death;
3
Case 5:21-cr-00170-JGB     Document 11     Filed 07/01/21     Page 3 of 5   Page ID #:72

1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
c. 
Title 21 or MDLEA offense for which maximum sentence is
10 years' imprisonment or more;
d. 
any felony if defendant has two or more convictions for
a crime set forth in a-c above or for an offense under
state or local law that would qualify under a, b, or c
if federal jurisdiction were present, or a combination
or such offenses;
e. 
any felony not otherwise a crime of violence that
involves a minor victim or the possession or use of a
firearm or destructive device (as defined in 18 U.S.C.
~ 921), or any other dangerous weapon, or involves a
failure to register under 18 U.S.C. § 2250;
f. 
serious risk defendant will flee;
g. 
serious risk defendant will obstruct or attempt to
obstruct justice or threaten, injure, or intimidate
prospective witness or juror, or attempt to do so.
6. 
Government requests continuance of 
days for detention
hearing under § 3142 (f) and based upon the following
reason(s):
//
//
//
//
//
Case 5:21-cr-00170-JGB     Document 11     Filed 07/01/21     Page 4 of 5   Page ID #:73

1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
K 
7. 
Good cause for continuance in excess of three days exists in
that:
Dated: July 1, 2021
Respectfully submitted,
TRACY L. WILKISON
Acting United States Attorney
SCOTT M. GARRINGER
Assistant United States Attorney
Chief, Criminal Division
/s/
MATTHEW W. O'BRIEN
JOSEPH O. JOHNS
Assistant United States Attorneys
Attorneys for Plaintiff
UNITED STATES OF AMERICA
5
Case 5:21-cr-00170-JGB     Document 11     Filed 07/01/21     Page 5 of 5   Page ID #:74

File and source

File
gov.uscourts.cacd.826563.11.0.pdf
Size
158,523 bytes
SHA-256
b419194171c6505620b861ae348ff7068281d78511ddb2e79af63432a6da0933
Our copy
gov.uscourts.cacd.826563.11.0.pdf
Original
PACER (login required)
Back to top