Case 2:25-cr-00179-DAD Document 37 Filed 06/10/26 Page 1 of 2
1 Michael E. Hansen
Attorney at Law, SBN 191737
2 711 Ninth Street, Suite 100
Sacramento, CA 95814
3 916.438.7711 FAX 916.864.1359
4 Attorney for Defendant
QUAMAINE MASSEY
5
6
7 IN THE UNITED STATES DISTRICT COURT
8 FOR THE EASTERN DISTRICT OF CALIFORNIA
9
10 UNITED STATES OF AMERICA, Case No. 2:25-CR-00179 DAD
11 Plaintiff, STIPULATION AND [PROPOSED]
ORDER FOR MODIFICATION OF
12 vs. PRETRIAL RELEASE CONDITIONS 8
AND 10
13 QUAMAINE MASSEY,
14 Defendant.
15 IT IS HEREBY STIPULATED by and between the parties hereto through their
16 respective counsel, Nchekube Onyima, Assistant United States Attorney, attorney for plaintiff;
17 and Michael E. Hansen, attorney for defendant Quamaine Massey, that the pretrial release
18 conditions for Quamaine Massey be modified as follows:
19 1. Modify Condition 8- “You must refrain from excessive use of alcohol.”
20 2. Modify Condition 10- “You must submit to drug testing. You must pay all or
21 part of the costs of the testing services based upon your ability to pay, as
22 determined by the pretrial services officer. You must not tamper, obstruct, or
23 attempt to tamper or obstruct the efficiency and accuracy of the drug
24 screening/testing.”
25 Pretrial services is in agreement with the modifications.
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Stipulation and [Proposed] Order for Modification of Pretrial Release Conditions
Case 2:25-cr-00179-DAD Document 37 Filed 06/10/26 Page 2 of 2
1 Dated: July 1, 2024 Respectfully submitted,
2 /s/ Michael E. Hansen
MICHAEL E. HANSEN
3 Attorney for Defendant
QUAMAINE MASSEY
4
Dated: July 1, 2024 ERIC GRANT
5 United States Attorney
6 By: /s/ Michael E. Hansen for
NCHEKUBE ONYIMA
7 Assistant U.S. Attorney
Attorney for Plaintiff
8
9 ORDER
10 Good cause appearing, it is so ordered.
11 Dated: June 10, 2026
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Stipulation and [Proposed] Order for Modification of Pretrial Release Conditions