9 Plaintiff,
PROTECTIVE ORDER
10 vs. MODIFIED
(GAG ORDER)
11
LUIS GERMAN MEJIA ORELLANA
12
DOB: 10/11/1993
13 AKA: "SMILEY" .
AKA: "MIN"
14
JUAN CARLOS LOZANO MEMBRENO
15
DOB:. 03/0.8/1988
16 AKA: "PSYCHO"
AKA: "PACO"
17
JOSE RlCARDO SARAVIA LAINEZ
18
DOB: 02/05/1992
19 AKA: RlCARDO SARAVIA
AKA: RlCARDO JOSE LAINEZ-SARADIN
20 AKA: "ALEX"
21 AKA: "LAGRIMA"
28
I "
18 OLVIN SERRANO
DOB: 12/15/1985
19 AKA: "CATRA"
AKA: "CATRACHO"
20
21 EZEQUIEL ESCALANTE-RIVERA
DOB: 08/03/1985
22 AKA: "CHUCKY"
AKA: "CALLADO"
23
24
25
26
27 Defendants.
28
2
TO: JOYCE E. DUDLEY, DISTRICT ATTORNEY AND CHRIS AMES, ADRIAN
2 ANDRADE, WILLIAM REDELL, JOSH WEBB, STEPHEN DUNKLE, STEVE
3 BALASH, MICHAEL CARTY, JEFF CHAMBLIS, ANDREW JENNINGS, ROBERT
9 Department.
10 2. Neither the Prosecution nor the Santa Maria Police Department violated any rights of
11 any of the defendants regarding the issuance of any statements on pre-trial publicity.
12
13 It is the Order of this Court that no attorney connected with this case as Prosecutor or
14 Defense Counsel, nor any other attorney working in or with the offices of either of them, nor
. 15 their agents, staff, expe1is, nor defendants, nor any judicial officer or court employee, comi
16 security personnel and transp01i officer, nor any law enforcement officer employed by the Santa
17 Maria Police Department, nor any comi interpreter shall do any ofthe following:
18
19 1. Release or authorize the release for public dissemination of any purp01ied extrajudicial
21 2. Release or authorize the release for public dissemination of any documents, exhibits,
22 photographs, or any evidence that is not pmi of the public record and the admissibility of
24 3. Make any statement outside of court, for public dissemination, as to the existence or
25 possible existence of any document, exhibit, photograph, or any other evidence, the
27
28
3
. ..
4. Express outside of court an opinion or make any comment for public dissemination as to
2 the weight, value, or effect of any evidence as tending to establish guilt or innocence;
3 5. Make any statement outside of comt for public dissemination as to the content, substance,
4 or effect of any statements or testimony that have been given, or is expected to be given,
5 in any proceeding in or related to this matter;
6 6. Issue any statement as to the identity of any prospective witness, or the witness's probable
7 testimony or effect thereof;
9 This Order Does not apply to any documents filed with the Court or any Court hearings and this
10 Order Does Not include any of the following:
11 I. Factual statements of the accused persons' name, age, residence, occupation and family
12 status.
13 2. The time and place of anest, the identity of the anestfng and investigating officers and
14 agencies, and the length and size ofthe investigation.
15 3. . The nature, substance, and text of the charge, including a brief description of the offenses
16 charged.
17 4. Quotations from, any reference without comment to, public records of the Comi in the
18 case. Any document that is public record may be provided by the pa1ties.
19 5. The scheduling and result of any stage of the judicial proceedings held in open comt in an
22 Any violation of this order may result in a contempt action for any offender within the
24 The Court retains continuing jurisdiction to modify the terms of this order.
26
27
28
4
FULED
SUPERIOR COURT o( CALIFORNIA
COUNTY of SANTA BARBARA
2 BY ~~arr!.t~~~·--
3
21
Defendants.
22
23 The parties hereby stipulate that the Court may issue the protective order (gag
24
order) as modified and submitted to the Court on November 17, 2017.
25
26
27
28
DATED:_ _//+-/_,____/1-'........f/'--/_J:..____
7 I
3
DATED :_ _,_jl-+/_!_f1---!-.I-J_.__tK_;____
4
6 DATED: i(-/7-'2-cJ/7
7
9
DATED:. _ _I_l -I-U_____:1-___,!~'__1,_1:_ _
I 7 Ada1 Pearlman,
10 Attorney for Olvin Serrano
11
DATED:_ _ _ .:_:7_/ -r-L_/_7- .;/'A:L-.z:e. .: : ?~')~~·. . !. _
.7 _
12
13
14 DATED :_/_l-+(_t--=-?-_,{f---£_v_{--'1-:.____
15
16
17
DATED: fl-17. 17
Billy Redell,
18
19
DATED:
J:! fw;zr~rd~~t~1~.
Josh Webb,
20
Attorney r.cw-+A.S
21
25
DATED: t I 111 )fl
26 Steve Balash,
Attorney for Juan Urbina Serrano
27
28
2
DATED:_....:.....:.//J_'/I:__fi::....L/_._11-=----- ~s~~,~.A-
1
Michael Carty, ~(?
2 Attorney for Jose Hernandez
3
5
DATED: _ _..___,_/0.f-J-U-F-7-+/-IJ~~*='----
JeffQ2==
Attorney for Jose Juan Torres ·
6
7
DATED: _ _ /(+--'&_7-+-~-(7__
8
Attorney for Tranquilino Morales
9
10
11
DATED: II !t1/1
~I
7&.~ £1Jd/;;, t#Mrt'
Robert Bettencourt,
12 Attorney for E. Escalante-Rivera
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
3
PROOF OF SERVICE
1013A(1)(3), 1013(c) CCP
I am a citizen of the United States of America and a resident of the county aforesaid. I am
employed by the County of Santa Barbara, State of Califomia. I am over the age of 18 and not a party to
the within action. My business address is 312 East Cook Street, Santa Maria, Califomia
On November 21, 2017, I served a copy of the attached PROTECTIVE ORDER MODIFIED
(GAG ORDER) and STIPULATION FOR ISSUANCE OF PROTECTIVE ORDER addressed as
follows:
XX MAIL
By placing tme copies thereof enclosed in a sealed envelope with postage fully prepaid, in the
United States Postal Service mail box in the City of Santa Maria, County of Santa Barbara, addressed as
above.
I ce1tify under penalty of perjury that the foregoing is tme and correct. Executed this 21st day of
November, 2017, at Santa Maria, Califomia.