Court filing
Assented to Motion to Modify Conditions of Release by Heath Gauthier — USA v. Gauthier (Dkt. 18)
Filed May 19, 2023 in USA v. Gauthier; one of 37 filings from this case.
Record facts
| Court | D.N.H. |
|---|---|
| Filed | 2023-05-19 |
D.N.H. · No. 1:23-cr-00015-JL-TSM · Doc. 18 · 2023-05-19 · Docket on CourtListener
Full text
1
UNITED STATES DISTRICT COURT
DISTRICT OF NEW HAMPSHIRE
UNITED STATES OF AMERICA
v.
Cr. No. 23-cr-15-JL
HEATH GAUTHIER
ASSENTED TO MOTION TO MODIFY OR CLARIFY BAIL CONDITIONS
Heath Gauthier, through his attorney, Dorothy E. Graham, respectfully requests to
modify or clarify conditions of release; specifically, Conditions # 7(cc) and 8(a).
Mr. Gauthier is charged with Wire Fraud and Aggravated Identity Theft. The Court
released Mr. Gauthier with specific conditions of release. Condition #7(cc) prohibits Mr.
Gauthier from possessing the personal identifying information or PII documents of others, and
Condition #8 prohibits Mr. Gauthier from using or possessing a computer device. Discovery is
voluminous and was produced to counsel without redaction of PII. Because Mr. Gauthier is
prohibited from using a computer device, counsel is unable to provide him discovery on a thumb
drive. Because discovery is unredacted and voluminous, a paper copy of discovery is not
feasible.
Counsel suggests allowing Mr. Gauthier to view the unredacted discovery via desktop or
thumb drive on a laptop device at the Federal Defender’s Office. To accomplish this, counsel is
requesting the Court to clarify or modify Conditions 7(cc) and 8(a) for the purpose of permitting
Mr. Gauthier to use/possess a computer device to review discovery at counsel’s office.
The government, through AUSA Matthew Hunter, assents.
Mr. Gauthier respectfully requests the Court to:
Case 1:23-cr-00015-JL-TSM Document 18 Filed 05/19/23 Page 1 of 2
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a)
Grant this motion and rule that Mr. Gauthier’s review of discovery on a
computer at counsel’s office is an exception to conditions 7(cc) and 8(a).
b)
Grant such other and further relief as may be just.
Respectfully submitted,
HEATH GAUTHIER
By His Attorney,
Date: May 19, 2023
/s/ Dorothy E. Graham
Dorothy E. Graham
N.H. Bar No. 11292
Assistant Federal Public Defender
Federal Defender Office
22 Bridge Street, Box 12
Concord, NH 03301
Tel. (603) 226-7360
E-mail: dorothy_graham@fd.org
CERTIFICATE OF SERVICE
I hereby certify that the above document was served on May 19, 2023 and in the manner
specified herein: electronically served through CM/ECF to AUSA Matthew Hunter.
/s/ Dorothy E. Graham
Dorothy E. Graham
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