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Barry Flegenheimer

BELL FLEGENHEIMER
119 1ST Ave. S., Suite 500
Seattle, Washington 98104
(206) 621-8777
barrylfp@aol.com

Attorney for Kenneth Currin Schuchman

UNITED STATES DISTRICT COURT

FOR THE DISTRICT OF ALASKA

UNITED STATES OF AMERICA,


NO. 3:18-cr-00095-SLG-DM
Plaintiff,
JOINT MOTION TO HAVE THE
v. DEFENDANT’S INTERIM
DETENTION BE AT FDC SEATAC
KENNETH CURRIN SCHUCHMAN, PENDING THE PRETRIAL
RELEASE REVOCATION HEARING
Defendant.
[Filed on Shortened Time]

On August 22, 2018, Mr. Schuchman was charged by Indictment with two-counts

of knowingly causing the transmission of a program, information, code, or command, and

as a result intentionally caused damage without authorization, to a protected computer, in

violation of 18 U.S.C. § 1030(a)(5)(A) and (c)(4)(B).

On August 31, 2018, Mr. Schuchman was summoned to appear for an arraignment

hearing. Dkt. # 3. At the hearing, the Court entered an order setting condition of release.

Dkt. # 12.

JOINT MOTION TO HAVE THE DEFENDANT’S INTERIM DETENTION


BE AT FDC SEATAC PENDING THE PRETRIAL RELEASE REVOCATION HEARING
[No. 3:18-cr-00095-SLG-DMS] - 1

Case 3:18-cr-00095-SLG-DMS Document 25 Filed 10/19/18 Page 1 of 3


On October 12, 2018, United States Probation filed a Petition for Action on

Conditions of Pretrial Release alleging Mr. Schuchman violated conditions of his release,

Dkt. # 22, and, on the petition an Arrest Warrant was issued.

Today, Mr. Schuchman was arrested on the warrant. On this date, an initial

appearance hearing has been scheduled in the United States District Court for the District

of Oregon in Portland, Oregon, cause number 3:18-mj-00231. For the purposes of today’s

hearing only, the defense is not seeking release pending a revocation hearing before

Magistrate Judge Smith in Alaska. Pending that hearing, the parties request that Mr.

Schuchman be held at FDC Seatac, and that if possible the hearing before Judge Smith be

held via VT if possible sometime during the week of October 29 or November 5. Mr.

Schuchman’s counsel is located in Seattle, and Mr. Schuchman’s detention at FDC Seatac

will facilitate necessary and cost-efficient consultations with his counsel.

DATED: October 19, 2018.

Respectfully submitted,

s/ Barry Flegenheimer
Barry Flegenheimer
BELL FLEGENHEIMER
Attorney for Kenneth Schuchman

s/ Adam Alexander
Assistant United States Attorney
Attorney for the Plaintiff

JOINT MOTION TO HAVE THE DEFENDANT’S INTERIM DETENTION


BE AT FDC SEATAC PENDING THE PRETRIAL RELEASE REVOCATION HEARING
[No. 3:18-cr-00095-SLG-DMS] - 2

Case 3:18-cr-00095-SLG-DMS Document 25 Filed 10/19/18 Page 2 of 3


CERTIFICATE OF SERVICE

I certify that on October 19, 2018, the foregoing was served on all parties by the

CM/ECF system.

I further certify that on this date I served by email United States Pretrial Services

Officer Yang Moua at: Yang_Moua@akp.uscourts.gov

DATED: October 19, 2018.

s/ Melisa Wong
Melisa Wong
Legal Assistant
BELL FLEGENHEIMER

JOINT MOTION TO HAVE THE DEFENDANT’S INTERIM DETENTION


BE AT FDC SEATAC PENDING THE PRETRIAL RELEASE REVOCATION HEARING
[No. 3:18-cr-00095-SLG-DMS] - 3

Case 3:18-cr-00095-SLG-DMS Document 25 Filed 10/19/18 Page 3 of 3