Court filing
MOTION by Christopher Scott to modify conditions of release — USA v. Brown, et al. (Dkt. 43)
Record facts
| Court | U.S. District Court for the Northern District of Illinois |
|---|---|
| Filed | 2023-10-04 |
U.S. District Court for the Northern District of Illinois · No. 1:23-cr-00097 · Doc. 43 · 2023-10-04 · Docket on CourtListener
Summary
An unopposed motion by defendant Christopher Scott to modify his conditions of pretrial release, filed October 4, 2023 as Doc. 43 in United States v. Christopher Scott, No. 1:23-cr-00097, in the U.S. District Court for the Northern District of Illinois before Judge Elaine E. Bucklo. The motion states that on March 1, 2023 Mr. Scott pleaded not guilty to an indictment charging wire and bank fraud. It asks permission to travel to Atlanta, Georgia on a business trip, leaving October 9, 2023 and returning October 11, 2023. It also asks that Pre-Trial Services be permitted to approve future travel requests without a formal motion, and states that neither the Government nor Pre-Trial Services objects. The three-page filing is signed by defense attorney Joshua B. Adams and includes a certificate of service.
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Full text
UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION UNITED STATES OF AMERICA ) ) v. ) 23 CR 97 ) Hon. Elaine E. Bucklo ) CHRISTOPHER SCOTT. ) CHRISTOPHER SCOTT’S UNOPPOSED MOTION TO MODIFYCONDITIONS OF RELEASE NOW COMES Defendant CHRISTOPHER SCOTT, and respectfully requests that this honorable court modify the conditions of his pre-trial release and permit him to travel to Atlanta, Georgia between October 9, 2023 through October 11, 2023. In support of his motion, Mr. Scott states the following. 1. On March 1, 2023, Mr. Scott plead not guilty to an indictment charging him with wire and bank fraud. 2. Mr. Scott has scheduled a business trip with his wife and son to Atlanta, Georgia, leaving October 9, 2023 returning October 11, 2023. 3. The Government does not object to this request. 4. Pre-Trial does not object. Case: 1:23-cr-00097 Document #: 43 Filed: 10/04/23 Page 1 of 3 PageID #:140 5. Additionally, Mr. Scott respectfully requests that Pre-Trial be permitted to approve future travel requests without a formal motion. Pre- Trial Services does not object to this modification. 6. The Government does not object to this modification. WHEREFORE, Mr. Scott respectfully requests that this honorable court modify the conditions of his release and permit him to travel to Atlanta, Georgia leaving October 9, 2023 and returning October 11, 2023. Respectfully submitted, /s/Joshua B. Adams Joshua B. Adams Attorney for Christopher Scott Joshua B. Adams LAW OFFICES OF JOSHUA B. ADAMS, P.C. 900 W. Jackson Blvd., Suite 7 E Chicago, IL 60607 (312) 566-9173 CERTIFICATE OF SERVICE I, Joshua B. Adams, an attorney, certify that I caused a copy of the above MOTION TO MODIFY CONDITIONS OF RELASE to be served on October 4, 2023, in accordance with Fed.R.Crim.P. 49, Fed.R.Civ.P. 5, LR 5.5 and the General Order on Electronic Case Filing (ECF) pursuant to the district court’s system as to ECF filers. Case: 1:23-cr-00097 Document #: 43 Filed: 10/04/23 Page 2 of 3 PageID #:141 /s/Joshua B. Adams Joshua B. Adams Case: 1:23-cr-00097 Document #: 43 Filed: 10/04/23 Page 3 of 3 PageID #:142
File and source
- File
- gov.uscourts.ilnd.430448.43.0.pdf
- Size
- 49,157 bytes
- SHA-256
- e898c098d97539c845201fcd533c0b11d6b0645adad5782636d145e3b43624ed
- Original
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