Showing posts with label Defense Bills. Show all posts
Showing posts with label Defense Bills. Show all posts

Wednesday, January 28, 2009

More Bills for Joe

The Times Leader reports that a Luzerne County judge signed court papers Tuesday ordering Joseph Kerekes to pay $200 for mitigation services provided by a Brooklyn, N.Y., firm.

Kerekes, 34, was sentenced on Dec. 8 to life in prison after he pleaded guilty to second-degree murder in the killing of Bryan Kocis, 44, in January 2007.

Kocis was found dead inside his burning home on Midland Road, Dallas Township. An autopsy determined Kocis was stabbed more than 30 times, arrest records indicated.

Investigators alleged Kerekes and Harlow Cuadra, 27, both of Virginia Beach, Va., killed Kocis, whom they considered a rival in the gay pornographic movie industry.

Cuadra is awaiting a Feb. 17 trial on homicide charges.

Kerekes’ attorney, John Pike, asked that $200 be paid to Lang & Kaboski, Forensic Social Work Services, LLP, which provided mitigation services to Kerekes in November and December.

Court papers say the firm performed work that included phone calls to Kerekes’ family members and attorneys, as well as reviewing file and prison records.

Luzerne County Court of Common Pleas Judge Peter Paul Olszewski signed the order allowing payment.
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Note from PC: Just wanted to correct a few details in this Times Leader report... Kerekes is 35, and Bryan Kocis was stabbed 28 times.

Sunday, January 18, 2009

Motion to Pay Expert Psychiatrist Invoice

(click image below to enlarge):

Invoice 3

ORDER

AND NOW, this 3rd day of January, 2009. Upon receipt and review of the attached Motion to Pay Expert Psychiatrist Invoice, it is hereby ORDERED AND DIRECTED that:

1. The Luzerne County Controller approve the payment of the Invoice, attached as “Exhibit 2” to the Motion, in the amount of $1920.00; and

2. The Luzerne County Treasurer issue a check payable to “Richard E. Fischbein, M.D., XXXXXXX XXXXXXXX, X XXXXX, XXX XXXXXXX XXX., XXXXXXXX, PA XXXXX” in the amount of $1920.00 for services rendered, representing payment in full.

BY THE COURT:

Peter Paul Olszewski Jr.

MOTION TO PAY EXPERT CRIMINOLOGIST INVOICE

The defendant, Joseph Manuel Kerekes (“Mr. Kerekes”), by and through his counsel, Shelley L. Centini, Esq. and John Pike, Esq. Court-Appointed Conflict Counselors for Luzerne County, respecttully requests this Court to Order payment of psychiatric evaluation invoice and represents as follows:

1. Mr. Kerekes is an adult individual presently incarcerated and serving a life sentence after pleading guilty to second degree murder and other offenses an December 8, 2008.

2. On May 15, 2007 Mr. Kerekes was charged by Criminal Complaint with the following offenses: Criminal Homicide (Title 18 Pa.C.S. Sec. 2501 (a)), Criminal Conspiracy to Commit Criminal Homicide (Title 18 Pa.C.S. Sec. 903(a)(1)), Liability for the Conduct of Another/Complicity (Title 18 Pa.C.S. Sec. 306(B)(3)(ii)), Arson and Related Offenses—Recklessly endangering (Title 18 Pa.C.S. Sec. 3301(a)(1)(i)), Arson and Related Offenses—Inhabited Building (Title 16 Pa.C.S. Sec. 3301 (a)(1)(ii)), Burglary (Title 18 Pa.C.S. Sec. 3502(a)), Robbery (Title 18 Pa.C.S. Sec. 3701 (a)(1)(i)), Theft by Unlawful Taking (Title 18 Pa.CS. Sec. 3921 (a)), Tampering with Physical Evidence (Title 18 Pa.C.S. Sec. 491 0(1)), Abuse of Corpse (Title 18 Pa.C.S. Sec. 5510), Conspiracy to Commit Burglary (Title 18 Pa.C Sec. 903(a)(1)), Criminal Conspiracy to Commit Robbery (Title 18 Pa.C.S. Sec. 903(a)(1)), Criminal Conspiracy to Commit Tampering with Physical Evidence (Title 18 Pa.C.S. Sec. 903(a)(1)), and Criminal Conspiracy to Commit Arson—Recklessly endangering (Title 18 Pa.C.S. Sec. 903(a)(1)).

3. On October 1, 2007 the Commonwealth filed their Notice of Aggravating Circumstances, advising that they intended to seek the death penalty against Mr. Kerekes.

4. In preparation for jury trial and/or penalty phase, on August 19, 2008 this Court approved counsel’s request to engage additional services of Richard M. Fischbein, M.D. for four hours at $1920.00 for additional work on the defendant’s case. S Order attached as “Exhibit I.“

5. On December 9, 2008, Dr. Fischbein sent his bill to counsel. The bill totals $1920.00 See Invoice attached as “Exhibit 2.”

6. Conflict counsel are appointed by the Court to defendants who qualify for representation by the Public Defender’s Office because of their indigency but whom the Public Defender’s Office cannot represent given a conflict of interest.

7. As of the date of this Petition, the undersigned is aware of no substantial change in the defendant’s financial condition since the court appointment of counsel. The defendant is unable to pay the fees and costs associated with the psychiatric evaluation from his own funds.

8. The engagement of Dr. Fischbein was essential to a fair trial and to the defendant’s right to effective assistance of counsel and due process and equal protection of law as guaranteed by the United States and Pennsylvania Constitutions.

WHEREFORE, the defendant respectfully requests that this Honorable Court enter an Order directing that the Luzerne County Controller approve payment of the Invoice attached in the amount of $1920.00 and directing the Luzerne County Treasurer to issue a check payable to “Richard E. Fischbein, M.D.” in the amount of $1920.00 as payment in full of the attached invoice.

Respectfully Submitted,

SHELLEY L. CENTINI, ESQ.
Conflict Counsel for Defendant

Motion to Pay Expert Criminologist Invoice

(click image below to enlarge):

Invoice 2

ORDER

AND NOW, this 3rd day of January, 2009, upon receipt and review of the affached Motion to Pay Expert Criminologist Invoice, it is hereby ORDERED AND DIRECTED that:

1. The Luzerne County Controller approve the payment of the Invoice, attached as “Exhibit 2” to the Motion, in the amount of $400.00; and

2. The Luzerne County Treasurer issue a check payable to “Robert Johnson, Ph.D., XXXX XXXXX XXXXX XXXXX, XXXXX, VA XXXXX” in the amount of $400.00 for services rendered, representing payment in full.

BY THE COURT:

Peter Paul Olszewski Jr.


MOTION TO PAY EXPERT CRIMINOLOGIST INVOICE

The defendant, Joseph Manuel Kerekes (“Mr. Kerekes”), by and through his counsel, Shelley L. Centini, Esq. and John Pike, Esq. Court-Appointed Conflict Counselors for Luzerne County, respecttully requests this Court to Order payment of criminologist invoice and represents as follows:

1. Mr. Kerekes is an adult individual presently incarcerated and serving a life sentence after pleading guilty to second degree murder and other offenses an December 8, 2008.

2. On May 15, 2007 Mr. Kerekes was charged by Criminal Complaint with the following offenses: Criminal Homicide (Title 18 Pa.C.S. Sec. 2501 (a)), Criminal Conspiracy to Commit Criminal Homicide (Title 18 Pa.C.S. Sec. 903(a)(1)), Liability for the Conduct of Another/Complicity (Title 18 Pa.C.S. Sec. 306(B)(3)(ii)), Arson and Related Offenses—Recklessly endangering (Title 18 Pa.C.S. Sec. 3301(a)(1)(i)), Arson and Related Offenses—Inhabited Building (Title 16 Pa.C.S. Sec. 3301 (a)(1)(ii)), Burglary (Title 18 Pa.C.S. Sec. 3502(a)), Robbery (Title 18 Pa.C.S. Sec. 3701 (a)(1)(i)), Theft by Unlawful Taking (Title 18 Pa.CS. Sec. 3921 (a)), Tampering with Physical Evidence (Title 18 Pa.C.S. Sec. 491 0(1)), Abuse of Corpse (Title 18 Pa.C.S. Sec. 5510), Conspiracy to Commit Burglary (Title 18 Pa.C Sec. 903(a)(1)), Criminal Conspiracy to Commit Robbery (Title 18 Pa.C.S. Sec. 903(a)(1)), Criminal Conspiracy to Commit Tampering with Physical Evidence (Title 18 Pa.C.S. Sec. 903(a)(1)), and Criminal Conspiracy to Commit Arson—Recklessly endangering (Title 18 Pa.C.S. Sec. 903(a)(1)).

3. On October 1, 2007 the Commonwealth filed their Notice of Aggravating Circumstances, advising that they intended to seek the death penalty against Mr. Kerekes.

4. In preparation for jury trial and/or penalty phase, on November 20, 2008 this Court approved counsel’s request to engage the services of Dr. Robert Johnson as defendant’s expert criminologist at a rate not to exceed $5000.00 for work on the defendant’s case. Order attached as “Exhibit I.”

5. On December 17, 2008, Dr. Johnson sent his bill to counsel. The bill totals $400.00. Invoice attached as “Exhibit 2.”

6. Conflict counsel are appointed by the Court to defendants who qualify for representation by the Public Defender’s Office because of their indigency but whom the Public Defender’s Office cannot represent given a conflict of interest.

7. As of the date of this Petition, the undersigned is aware of no substantial change in the defendant’s financial condition since the court appointment of counsel. The defendant is unable to pay the fees and costs associated with the expert criminologist from his own funds.

8. The engagement of Dr. Johnson was essential to a fair trial and to the defendant’s right to effective assistance of counsel and due process and equal protection of law as guaranteed by the United States and Pennsylvania Constitutions.

WHEREFORE, the defendant respecifully requests that this Honorable Court enter an Order directing that the Luzerne County Controller approve payment of the Invoice attached in the amount of $400.00 and directing the Luzerne County Treasurer to issue a check payable to “Robert Johnson, Ph.D.” in the amount of $400.00 as payment in full of the attached invoice.

Respectfully Submitted,

SHELLEY L. CENTINI, ESQ.
Conflict Counsel for Defendant

Friday, January 16, 2009

Motion to Pay Computer Forensic Expert Invoice

This story was originally mentioned last Friday, and I'll now be posting the three mentioned invoices separately. It should also be noted that I was incorrect in my original post stating that this was being billed to Joseph Kerekes (thanks for catching that will g). These invoices are in fact being billed to the Luzerne County Courts. My apologies for the original error. (Simply click the image below to enlarge):

Invoice 1

ORDER

AND NOW, this 3rd day of January, 2009 upon receipt and review of the attached Motion to Pay Computer Forensic Expert Invoice, it is hereby ORDERED AND DIRECTED that:

1. The Luzerne County Controller approve the payment of the Invoice, attached as “Exhibit 2” to the Motion, in the amount of $4990.16; and

2. The Luzerne County Treasurer issue a check payable to “Surveillance Technology Group, Inc., XXXXXX, XXXXXXXX, PA XXXXX” in the amount of $4990.16 for services rendered, representing payment in full.

BY THE COURT:

Peter Paul Olszewski Jr.


MOTION TO PAY COMPUTER FORENSIC EXPERT IN VOICE

The defendant, Joseph Manuel Kerekes (“Mr. Kerekes”), by and through his counsel, Shelley L. Centini, Esq. and John Pike, Esq. Court-Appointed Conflict Counselors for Luzerne County, respectfully requests this Court to Order payment of computer forensic expert invoice and represents as follows:

1. Mr. Kerekes is an adult individual presently incarcerated and serving a life sentence after pleading guilty to second degree murder and other offenses on December 8, 2008.

2. On May 15, 2007 Mr. Kerekes was charged by Criminal Complaint with the following offenses: Criminal Homicide (Title 18 Pa.C.S. Sec. 2501 (a)), Criminal Conspiracy to Commit Criminal Homicide (Title 18 Pa.C.S. Sec. 903(a)(1)), Liability for the Conduct of Another/Complicity (Title 18 Pa.C.S. Sec. 306(B)(3)(ii)), Arson and Related Offenses—Recklessly endangering (Title 16 Pa.C.S. Sec. 3301(a)(1)(i)), Arson and Related Offenses—Inhabited Building (Title 18 Pa.C.S. Sec. 3301 (a)(1)(ii)), Burglary (Title 18 Pa.C.S. Sec. 3502(a)), Robbery (Title 18 Pa.C.S. Sec. 3701(a)(1)(i)), Theft by Unlawful Taking (Title 18 Pa.C.S. Sec. 3921 (a)), Tampering with Physical Evidence (Title 18 Pa.C.S. Sec. 4910(1)), Abuse of Corpse (Title 18 Pa.C.S. Sec. 5510), Conspiracy to Commit Burglary (Title 18 Pa.C.S Sec. 903(a)(1)), Criminal Conspiracy to Commit Robbery (Title 18 Pa.C.S. Sec. 903(a)(1 )), Criminal Conspiracy to Commit Tampering with Physical Evidence (Title 18 Pa.C.S. Sec. 903(a) (1)), and Criminal Conspiracy to Commit Arson—Recklessly endangering (Title 18 Pa.C.S. Sec. 903(a)(1)).

3. On October 1, 2007 the Commonwealth filed their Notice of Aggravating Circumstances, advising that they intended to seek the death penalty against Mr. Kerekes.

4. In preparation for jury trial and/or penalty phase, on June 16, 2008 this Court approved counsel’s request to engage the services of Sherman Nowlin of Surveillance Technology Group, Inc., as defendant’s computer forensic expert at a rate not to exceed $5000.00 for work on the defendant’s case. Order attached as “Exhibit 1.”

5. On December 13, 2008, Mr. Nowlin sent his bill to counsel. The bill totals $4990.16. See Invoice attached as “Exhibit 2.”

6. Conflict counsel are appointed by the Court to defendants who qualify for representation by the Public Defender’s Office because of their indigency but whom the Public Defender’s Office cannot represent given a conflict of interest.

7. As of the date of this Petition, the undersigned is aware of no substantial change in the defendant’s financial condition since the court appointment of counsel. The defendant is unable to pay the fees and costs associated with the computer forensic expert from his own funds.

8. The engagement of Mr. Nowlin was essential to a fair trial and to the defendant’s right to effective assistance of counsel and due process and equal protection of law as guaranteed by the United States and Pennsylvania Constitutions.

WHEREFORE, the defendant respectfully requests that this Honorable Court enter an Order directing that the Luzerne County Controller approve payment of the Invoice attached in the amount of $4990.16 and directing the Luzerne County Treasurer to issue a check payable to “Surveillance Technology Group, Inc.” in the amount of $4990.16 as payment in full of the attached invoice.

Respectfully Submitted,

SHELLEY L. CENTINI, ESQ.
Conflict Counsel for Defendant