Court filing
Motion by Kisha Sutton to Obtain Permission to Travel — United States v. Sutton et al. (Dkt. 367, S.D. W. Va.)
Filed August 25, 2025 in United States v. Sutton et al.; one of 133 filings from this case.
Record facts
| Court | U.S. District Court for the Southern District of West Virginia |
|---|---|
| Filed | 2025-08-25 |
U.S. District Court for the Southern District of West Virginia · No. 2:24-cr-00192 · Doc. 367 · 2025-08-25 · Docket on CourtListener
Full text
IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF WEST VIRGINIA CHARLESTON UNITED STATES OF AMERICA, PLAINTIFF, V. CASE NO.: 2:24-cr-00192 KISHA SUTTON, DEFENDANT. DEFENDANT KISHA SUTTON’S MOTIONTO OBTAIN PERMISSION TO TRAVEL OUT OF HER SUPERVISION DISTRICT PRIOR TO SENTENCING NOW COMES the Defendant, Kisha Sutton, by and through counsel, Connor Robertson, and moves this Honorable CourttogranttheDefendantpermissiontotravel outside of her supervision district to visit family priortosentencing.Insupportthereof, the Defendant respectfully states as follows: 1. Defendant was convicted by jury trial concluding on or about July 15, 2025. 2. Defendant was allowed to remain on supervised release pending her November 15, 2025 Sentencing date. 3. Defendant has remained compliant on supervision with no infractions and has appeared before the Court as Ordered. 4. Defendant wishes to visit family outside of her supervision district prior to her sentencing date. 5. On September 25, 2025 through September 28, 2025,Defendantwishestotravel via car to Chesapeake, Virginia. (Defendant can provide names and addresses to Case 2:24-cr-00192 Document 367 Filed 08/25/25 Page 1 of 3 PageID #: 2433 theCourtandSupervisionOfficerifnecessary).Defendantwillremainreachableby telephone and will do anything required of her during this trip to ensure she remains compliant. 6. OnOctober24,2025throughOctober27,2025,Defendantwishestotravelviacar toDecatur,Georgia.(DefendantcanprovidenamesandaddressestotheCourtand Supervision Officer if necessary). Defendant will remain reachable by telephone and will do anything required of her during this trip to ensure she remains compliant. 7. UndersignedcounselhasconferredwiththeGovernmentandtheGovernmenthas no objections to the Defendant’s request. CONCLUSION WHEREFORE,forthereasonssetforthabove,Ms.Suttonrespectfullyrequeststhat the Court grant her permission to make the trips as outlined above and for other such relief as is necessary and proper. Respectfully submitted, By Counsel S://Connor D. Robertson________ Connor Robertson (11460) ROBERTSON LAW PLLC 2939 Virginia Avenue, Suite 2010 Hurricane, WV 25526 (304) 557-1601 cdr@croblaw.com Case 2:24-cr-00192 Document 367 Filed 08/25/25 Page 2 of 3 PageID #: 2434 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF WEST VIRGINIA CHARLESTON UNITED STATES OF AMERICA, PLAINTIFF, V. CASE NO.: 2:24-CR-000192-01 KISHA SUTTON, DEFENDANT. CERTIFICATE OF SERVICE I, Connor Robertson, certify that on the 25th day of August, 2025, a copy of the foregoing motion was served on theUnitedStatesbyECF,toJonathanStorage,Assistant United States Attorney to the following: Jonathan Storage Assistant United States Attorney Jonathan.Storage@usdoj.gov S:// Connor D. Robertson Connor Robertson (11460) ROBERTSON LAW PLLC 2939 Virginia Avenue, Suite 2010 Hurricane, WV 25526 (304) 557-1601 CDR@CROBLAW.COM Case 2:24-cr-00192 Document 367 Filed 08/25/25 Page 3 of 3 PageID #: 2435
File and source
- File
- gov.uscourts.wvsd.240497.367.0.pdf
- Size
- 74,453 bytes
- SHA-256
- bfc2d54219114fd2defab655d318007b98b8e590abc6c818252dcb2134efcbdb
- Original
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