Court filing
Agreed Motion to Modify Conditions of Release — USA v. Alexandra Acosta (Dkt. 17, S.D. Fla.)
Filed November 7, 2023 in USA v. Alexandra Acosta; one of 136 filings from this case.
Record facts
| Court | U.S. District Court for the Southern District of Florida |
|---|---|
| Filed | 2023-11-07 |
U.S. District Court for the Southern District of Florida · No. 0:23-cr-60170-RNS · Doc. 17 · 2023-11-07 · Docket on CourtListener
Full text
IN THE UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF FLORIDA
UNITED STATES OF AMERICA, )
)
Plaintiff,
)
)
v.
)
CASE NO. 23-cr-60170-RNS
)
)
ALEXANDRA ACOSTA,
)
)
Defendant.
)
_______________________________)
AGREED MOTION TO MODIFY CONDITIONS OF RELEASE
COMES NOW, the Defendant, ALEXANDRA ACOSTA (“Acosta”), by and
through the undersigned attorney, and motions this Court to modify the conditions
of her release to permit her to travel to and from the Middle District of Florida to
visit family. In support thereof, Acosta states as follows:
1.
Accosta is presently prohibited from traveling outside the Southern
District of Florida. However, she has family that reside in the Middle District of
Florida which she regularly visited prior to her arrest in the instant case. Acosta
wishes to travel to and from the Middle District of Florida so that she can continue
to visit her family and maintain those relationships. This is especially important to
her given that Thanksgiving and Christmas are approaching.
Case 0:23-cr-60170-RNS Document 17 Entered on FLSD Docket 11/07/2023 Page 1 of 3
2.
Acosta does not object to reporting to probation prior to traveling to the
Middle District and upon her return to the Southern District.
3.
Prior to filing the instant motion, the undersigned communicated with
AUSA Travor Jones, the prosecutor assigned to the instant case. AUSA Jones
indicated that the government has no objection to Acosta getting permission from
probation as needed to leave the district to visit family.
WHEREFORE, the Defendant and the undersigned attorney respectfully
motion this Court to modify Acosta’s conditions of release so that she is permitted
to travel to and from the Middle District of Florida.
Respectfully Submitted,
/s/ Brian Silber
______________________________
Brian Silber, Esq.
Counsel for Alexandra Acosta
Florida Bar #: 0640646
916 South Andrews Avenue
Fort Lauderdale, FL 33316
954-462-3636 (ofc)
silberlaw@gmail.com
briansilberlaw.com
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a copy of this document was served on the
following parties via CM/ECF on November 7, 2023.
Case 0:23-cr-60170-RNS Document 17 Entered on FLSD Docket 11/07/2023 Page 2 of 3
SERVICE LIST
AUSA Trevor Jones
U.S. Attorney’s Office SDFL
500 E. Broward Blvd, 7th Floor
Ft. Lauderdale, FL 33394
786-564-9109
trevor.jones@usdoj.gov
Case 0:23-cr-60170-RNS Document 17 Entered on FLSD Docket 11/07/2023 Page 3 of 3File and source
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