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STIPULATION AND ORDER MODIFYING CONDITIONS OF PRETRIAL RELEASE as to… — PPP Attempt Conspiracy Legal Filings (Dkt. 128)
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Case 1:21-cr-00061-LEK Document 128 Filed 05/24/24 Page 1 of 3 PageID.1041
LAW OFFICE OF VICTOR J. BAKKE
VICTOR J. BAKKE 5749
700 Bishop Street, Suite 2100
Honolulu, Hawaii 96813
Telephone: (808) 369-8170
Facsimile: (808) 369-8179
E-Mail: vbakke@bakkelawfirm.com
Attorney for Defendant
MARTIN KAO
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF HAWAII
UNITED STATES OF AMERICA, ) CR. NO. 21-00061 /(.
)
Plaintiff, STIPULATION AND ORDER
)
MODIFYING CONDITIONS OF
)
vs. PRETRIAL RELEASE
)
)
MARTIN KAO, )
)
Defendant. )
)
)
)
)
)
STIPULATION AND ORDER MODIFYING
CONDITIONS OF PRETRIAL RELEASE
WHEREAS, Defendant MARTIN KAO has requested permission to travel
to Cambridge, Massachusetts, to attend two Harvard University summer courses,
running from June 29, 2024, to August 6, 2024, in order to engage in activities that
1
Case 1:21-cr-00061-LEK Document 128 Filed 05/24/24 Page 2 of 3 PageID.1042
provide some sense of purpose and pride to his life given the destruction he has
done to his own worth;
AND WHEREAS, Mr. Kao’s current employer, The Cheesecake Factory in
Waikiki, has recommended that his employment be transferred to The Cheesecake
Factory in Cambridge;
AND WHEREAS, Mr. Kao will continue to be subject to the Smartlink
check-ins and Soberlink breathalyzer testing and be otherwise supervised by the
United States Probation Office;
AND WHEREAS, Senior United States Probation Officer Erik S. Iverson
and Assistant United States Attorney Craig S. Nolan have no objection to the
requested travel,
NOW THEREFORE IT IS HEREBY STIPULATED AND AGREED by
and between the parties herein that the conditions of Defendant MARTIN KAO’s
pretrial release be modified as follows:
MODIFICATION:
Defendant is permitted to travel to Cambridge, Massachusetts, to
attend two Harvard University summer courses, running from
June 29, 2024, to August 6, 2024. Travel dates, not to exceed five (5)
days in advance of, and at the conclusion of, his classes, will be
provided to the U.S. Probation Office for approval; Defendant shall
provide the U.S. Probation Office with a copy of his travel itinerary,
lodging, and contact information prior to his departure.
Defendant shall continue to be supervised by the U.S. Probation
Office in the District of Hawaii and is subject to Smartlink check-ins
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Case 1:21-cr-00061-LEK Document128 Filed 05/24/24 Page 3 of3 PagelD.1043
and Soberlink breathalyzer testing. Defendant will check in with the
U.S. Probation Office as may be directed upon his return to Honolulu.
All other conditions of release remain in effect.
IT IS SO STIPULATED:
DATED: Honolulu, Hawaii, May 23, 2024.
/s/ Victor J. Bakke
Victor J. Bakke
Attorney for Defendant
MARTIN KAO
/s/ Craig S. Nolan
CRAIG S. NOLAN
Attorney for Plaintiff
UNITED STATES OF AMERICA
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ERIK S. IVERSON
Senior United States Probation Officer
IT IS APPROVED AND SO ORDERED:
DATED: Honolulu, Hawaii,
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/s/ Leslie E. Kobayashi
Leslie E. Kobayashi
United States District Judge
Lig, Gj
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STIPULATION AND ORDER MODIFYING CONDITIONS OF PRETRIAL
RELEASE; United States v. Martin Kao, Cr. No. 21-00061 LEK
United States District Court, District of Hawaii
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