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Home Court filings United States v. Bowens — U.S. District Court, M.D. Fla., Orlando Division MOTION to Seal Indictment and Related Documents by USA as to Emmet Bowens. (LDJ)… — Uni…

Court filing

MOTION to Seal Indictment and Related Documents by USA as to Emmet Bowens. (LDJ)… — United States v. Bowens (Dkt. 3)

Record facts

CourtU.S. District Court for the Middle District of Florida
Filed2021-11-10

U.S. District Court for the Middle District of Florida · No. 6:21-cr-00141-RBD-NWH · Doc. 3 · 2021-11-10 · Docket on CourtListener

Summary

The United States' motion to seal the indictment and related documents in United States v. Emmet Bowens, a/k/a Emmitt Bowens, No. 6:21-cr-00141-RBD-NWH, U.S. District Court for the Middle District of Florida, filed November 10, 2021 as Doc. 3. Brought through Acting United States Attorney Karin Hoppmann under Fed. R. Crim. P. 6(e)(4), it asks the Court to direct the Clerk to seal the Indictment, the warrant, the defendant information sheet and the motion, stating that disclosure before arrest could hinder or impede arrest efforts. It asks that the United States Marshals Service be allowed to release certified copies of the arrest warrant and enter it into the National Crime Information Center (NCIC) database without further order. The two-page motion asks for unsealing when any named defendant is taken into custody and is signed by Assistant United States Attorney Amanda S. Daniels.

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Full text

Case 6:21-cr-00141-RBD-NWH Document3_ Filed 11/10/21 Page 1 of 2 PagelD 26

FILED
UNITED STATES DISTRICT COURT
MIDDLE DISTRICT OF FLORIDA ee
ORLANDO DIVISION 21NOV 10 PH 5:29
UNITED STATES OF AMERICA /ASERICT OF Lon.
V. CASE NO. 6:21-cr- |4|-ORL- RBD -ETK

EMMET BOWENS
a/k/a Emmitt Bowens

MOTION TO SEAL INDICTMENT
AND RELATED DOCUMENTS

Pursuant to Fed. R. Crim. P. 6(e)(4), and in the interests of law enforcement,
the United States of America by Karin Hoppmann, Acting United States Attorney for
the Middle District of Florida, hereby moves the Court to direct the Clerk to seal the
Indictment, the file copy of the warrant, defendant information sheet, this motion, the
Court's order regarding this motion and any other documents filed in this case that
would identify the defendant. Disclosure of the existence of these documents prior to
the arrest of a defendant could hinder or impede arrest efforts.

The United States further moves that the Court direct the Clerk to seal the
Indictment in this case except when necessary to provide certified copies of the
Indictment to the United States Attorney's Office.

The United States further requests that the Court's Order allow the United States
Marshals Service to release certified copies of the arrest warrant to the case agent or
other appropriate law enforcement and/or to the United States Attorney's Office, upon
verbal request of the United States Attorney's Office to the United States Marshals

Service, without further order of the Court.
Case 6:21-cr-00141-RBD-NWH Document3_ Filed 11/10/21 Page 2 of 2 PagelD 27

The United States further requests that the Court’s Order allow the United
States Marshals Service or other appropriate law enforcement agency to enter the
arrest warrant into the National Crime Information Center (NCIC) database or other
appropriate law enforcement database, without further order of the Court.

The United States further requests that the Court's Order allow the United States
to disclose the existence of the Indictment in any subsequent search and/or seizure
warrants which may be executed in conjunction with the arrest of the defendant.

The United States further moves that the Court direct the Clerk to unseal the
documents described herein without further order when any named defendant is taken
into custody.

Respectfully submitted,

KARIN HOPPMANN
Acting United States Attorney

By: /s/ Amanda S. Daniels >

AMANDA S. DANIELS

Assistant United States Attorney
Florida Bar No. 111444

400 W. Washington Street, Suite 3100
Orlando, Florida 32801

Telephone: (407) 648-7500

Fax: (407) 648-7643

E-mail: amanda.daniels@usdoj.gov

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