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Invocation of Rights to Silence and Counsel — United States v. David Tyler Hines

Date
2020-09-12

Full text

UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
MIAMI DIVISION

CASE NO.  20-3237-BECERRA

UNITED STATES OF AMERICA,

Plaintiff,
v.

DAVID TYLER HINES,

Defendant.
_________________________________/

DEFENDANT=S INVOCATION OF
RIGHTS TO SILENCE AND COUNSEL

The defendant named above does hereby invoke his or her rights to
remain silent and to counsel with respect to any and all questioning or
interrogation, regardless of the subject matter, including, but not limited
to:  matters that may bear on or relate to arrest, searches and seizures,
bail, pretrial release or detention, evidence at trial, guilt or innocence,
forfeitures; or that may be relevant to sentencing, enhanced punishments,
factors applicable under the U.S. Sentencing Guidelines, restitution,
immigration status or consequences resulting from arrest or conviction;
appeals or other post-trial proceedings.

The Defendant requests that the United States Attorney ensure that
this invocation of rights is honored, by forwarding a copy of it to all law
enforcement agents, government officials, or employees associated with
Case 1:20-mj-03237-JB   Document 13   Entered on FLSD Docket 09/12/2020   Page 1 of 2

2

the investigation of any matters relating to the defendant.  Any contact
with the Defendant must be made through the defendant=s lawyer,
undersigned counsel.

Respectfully Submitted,

MICHAEL CARUSO

FEDERAL PUBLIC DEFENDER

BY:    s/R. D’Arsey Houlihan

R. D’Arsey Houlihan

Supervisory Assistant Federal Public Defender

Florida Bar No. 100536

150 W. Flagler Street, Suite 1700

Miami, Florida 33130-1556

(305) 530-7000

(305) 536-4559, Fax

E-Mail:  d’arsey_houlihan@fd.org

CERTIFICATE OF SERVICE

I HEREBY certify that on September 12, 2020, I electronically filed the
foregoing document with the Clerk of the Court using CM/ECF.  I also certify
that the foregoing document is being served this day on all counsel of record via
transmission of Notices of Electronic Filing generated by CM/ECF or in some
other authorized manner for those counsel or parties who are not authorized to
receive electronically Notices of Electronic Filing.

s/R. D’Arsey Houlihan
 R. D’Arsey Houlihan

Case 1:20-mj-03237-JB   Document 13   Entered on FLSD Docket 09/12/2020   Page 2 of 2

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