09-30-2016 ECF 696 USA V Peter Santilli - Amended Ex Parte Motion To Contact Visitation For Paralegal

You might also like

Download as pdf or txt
Download as pdf or txt
You are on page 1of 2

Case 2:16-cr-00046-GMN-PAL Document 696 Filed 09/30/16 Page 1 of 2

1
2
3
4

CHRIS T. RASMUSSEN, ESQ.


Nevada Bar No. 07149
RASMUSSEN & KANG, LLC.
330 South Third Street, Suite 1010
Las Vegas, Nevada 89101
(702) 464-6007

5
6

UNITED STATES DISTRICT COURT

7
DISTRICT OF NEVADA
***

8
9
10
11
12
13
14
15
16

UNITED STATES OF AMERICA,

)
)
Plaintiff,
)
)
v.
)
)
PETER SANTILLI,
)
)
Defendant.
)
________________________________)

2:16-cr-00046-GMN-PAL

EXPARTE MOTION FOR AN ORDER ALLOWING PARALEGAL ROBERT GULLO

17
TO HAVE CONTACT VISITATION

18
19
20

Comes Now, Defendant PETER SANTILLI, by and through his counsel Chris T.
Rasmussen, Esq., and submits the following ex parte motion.

21
22

MEMORANDUM OF POINTS AND AUTHORITIES

23
24

Defendant Santilli is in custody at CCA Southern Nevada (Pahrump). The

25

government has disclosed terabytes of discovery items including thousands of videos

26

and photos.

27
28

We are requesting that Robert Gullo be allowed contact visitation to review

Case 2:16-cr-00046-GMN-PAL Document 696 Filed 09/30/16 Page 2 of 2

1
2
3

discovery with Defendant. The review of discovery with Defendant should allow for a
more efficient trial preparation and less CJA funds expended as the paralegal works at
a lower rate than counsel.

4
Gullo has been approved by Judge Navarro and the Ninth Circuit for funds to

5
6

assist with this case. Gullo is a local man who recently passed the Nevada Bar. He

has no relation with any of the defendants and/or their family members.

8
9

DATED this 30th day of September, 2016.

10
11
12
13
14
15
16
17
18

/S/ Chris T. Rasmussen, Esq.


_____________________________
CHRIS T. RASMUSSEN, ESQ.
Nevada Bar No. 07149
330 South Third Street, Suite 1010
Las Vegas, Nevada 89101
(702) 464-6007
Attorney for Defendant

19
20
21
22
23
24
25
26
27
28

You might also like