Case 2-16-cr-00046-GMN-PAL Document 2753 Filed 10/20/17 Page 1 – 3

ORDER that the Clerk of the Court shall STRIKE from the court’s docket Defendant Ryan C. Bundy’s: 1. Notice Regarding Verifiable Claim and Compensation (ECF No. [2298]), 2. Notice of Rescindation [sic] of Financial Affidavit (ECF No. [2398]), 3. Notice re: Full Reconveyance (ECF No. [2447]), 4. Notice of Patent of Nativity (ECF No. [2448]), 5. Notice of Demand for Immediate Release (ECF No. [2487]), 6. Notice of Termination of Services (ECF No. [2488]), 7. Affidavit Not Pro Se (ECF No. [2489]), 8. Emergency Judicial Notice and Cease and Desist Order (ECF No. [2499]), 9. Notice of Assertion of Right […]

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Case 2:16-cr-00046-GMN-PAL Document 2721 Filed 10/17/17 Page 1 – 4

DEFENDANTS’ RESPONSE TO GOVERNMENT’S OPPOSITION (ECF#2654) TO  DEFENDANT’S MOTION IN LIMINE (ECF#2513)  COMES NOW, Defendant, ERIC PARKER, by and through his attorney, JESS R. MARCHESE, ESQ. of MARCHESE LAW OFFICES and O. SCOTT DREXLER, ESQ., by and through his attorney, TODD LEVENTHAL, ESQ., and respectfully move this Honorable Court for an Order precluding the reference, argument, and the evidence listed herein. The attached Memorandum of Points and Authorities is submitted in support of this request. DATED this 17th day of October, 2017. MEMORANDUM OF POINTS AND AUTHORITES  I.  LEGAL ARGUMENT  A. The Items Listed in the Government’s Notice are not […]

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Case 2:16-cr-00046-GMN-PAL Document 2720 Filed 10/17/17 Page 1 – 8

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Case 2:16-cr-00046-GMN-PAL Document 2703 Filed 10/16/17 Page 1 of 3

“The motions ask the court to issue subpoenas to Daniel P. Love,1 a former employee of the Bureau of Land Management, to compel his testimony in an evidentiary hearing before the Honorable Chief Judge Gloria M. Navarro on Monday, October 23, 2017, at 9:00 a.m. The court has reviewed the motions and finds that Mr. Payne has met his threshold burden under Rule 17 for issuance of the subpoenas. In addition, the court has already found that Mr. Payne is indigent. Accordingly, the court will grant the motions and issue the subpoenas. In granting the request, the court expresses no […]

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Case 2:16-cr-00046-GMN-PAL Document 2664 Filed 10/12/17 Page 1 – 6

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2:16-cr-00046-GMN-PAL Pete Santilli PLEA AGREEMENT

The United States, by and through the undersigned, and the defendant, PETER T. SANTILLI, and his attorney, Chris Rasmussen, respectfully submit this Plea Agreement under Fed. R. Crim. P. 11(c)(1)(A) and (B). I. SCOPE OF AGREEMENT  The parties to this Plea Agreement are the United States of America and the defendant, PETER T. SANTILLI. This Plea Agreement binds the defendant and the United States Attorney’s Office for the District of Nevada. It does not bind any other prosecuting, administrative, or regulatory authority, the United States 2 Probation Office, or the Court. The Plea Agreement sets forth the parties’ agreement regarding […]

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Case 2:16-cr-00046-GMN-PAL Document 2626 Filed 10/05/17 Page 1 – 8

A. A fair trial cannot begin in Las Vegas on October 10  Despite the passage of four days, the tragedy of October 1, 2017 remains on the forefront of every local resident’s mind. Coverage of the mass shooting dominates the local news, with every hour bringing new stories about the investigation and the shooter, profiles of his victims, and of the heroes who saved lives.1 Local residents are still shocked, traumatized, and upset. The same is true of the Las Vegas Sun, where 9 of the 10 most popular stories this morning concerned the shooting. See also “The frantic bloody […]

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