Court filing
Unopposed MOTION to Travel by Alexandra Acosta — USA v. Alexandra Acosta (Dkt. 122)
Record facts
| Court | U.S. District Court for the Southern District of Florida |
|---|---|
| Filed | 2024-09-03 |
U.S. District Court for the Southern District of Florida · No. 0:23-cr-60170-RNS · Doc. 122 · 2024-09-03 · Docket on CourtListener
Summary
An unopposed motion for permission to travel, entered on the docket September 3, 2024 as Document 122 in United States v. Alexandra Acosta, Case No. 23-cr-60170-RNS, in the U.S. District Court for the Southern District of Florida. The motion asks the court to let the defendant travel to Canada for work from September 11, 2024 to October 5, 2024. It states that the Assistant United States Attorney assigned to the matter and the defendant's probation officer have no objection. It states that on August 27, 2024 the defendant was convicted and sentenced to 4 months of incarceration followed by 12 months of supervised release, and that she is on bond pending her appeal. It states that she works for a rigging company that has offered her work at an event in Toronto, and attaches the company's letter as Exhibit 1. The filing is five pages.
Summary drafted by a model from the document's text below and checked by script against that text before publication. It is a navigation aid, not a reading of what the document proves. Where AI is used
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.
)
_______________________________)
UNOPPOSED MOTION FOR PERMISSION TO TRAVEL
COMES NOW, the Defendant, ALEXANDRA ACOSTA (“Acosta”), by and
through the undersigned attorney, and respectfully motions this honorable Court for
permission to travel to Canada for work purposes from September 11, 2024 to
October 5, 2024. In support thereof, Acosta states as follows:
1.
Prior to filing the instant motion, the undersigned communicated with
AUSA Trevor Jones (the prosecutor assigned to the instant matter) who advised the
government has no objection to granting the instant motion. Acosta also discussed
this request with her probation officer who also advised that she has no objection.
Case 0:23-cr-60170-RNS Document 122 Entered on FLSD Docket 09/03/2024 Page 1 of 5
2.
On August 27, 2024, Acosta was convicted and sentenced to 4 months
of incarceration followed by 12 months of supervised release. However, Acosta is
presently on bond pending the outcome of her appeal.
3.
Following her initial arrest in October 2023, Acosta obtained
employment with SILVERBACK PRODUCTIONS (“Silverback”), which is a
rigging company that sets up and breaks down stages and other equipment for music
concerts and other shows.
4.
Silverback has offered Acosta an opportunity to work with them at an
event in Toronto, Canada from September 11, 2024 to October 5, 2024. Exhibit 1
(Letter from Silverback) Acosta will be staying at a local hotel located in Vaughn,
Canada.
WHEREFORE, the Defendant and the undersigned attorney respectfully
motion this Court to permit Acosta to travel to Canada for work purposes from
September 11, 2024 to October 5, 2024.
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
Case 0:23-cr-60170-RNS Document 122 Entered on FLSD Docket 09/03/2024 Page 2 of 5
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that a copy of this document was served on the
following parties via CM/ECF on September 3, 2024.
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 122 Entered on FLSD Docket 09/03/2024 Page 3 of 5
Exhibit 1
(Letter from Silverback)
Case 0:23-cr-60170-RNS Document 122 Entered on FLSD Docket 09/03/2024 Page 4 of 5
SILVERBACK PRODUCTIONS, LLC
264 East Blackwell Street, Dover, NJ 07801
P: 973-442-9900 F: 973-442-9901
August 31, 2024
Parole Officer
RE: Letter requesting the services from Parole Office for Ms. Alexandra Acosta
To Whom It May Concern,
The purpose of this letter is to request the release and services of Ms. Alexandra Acosta for a project
that we are doing in Toronto, Canada. The work Silverback Productions (Silverback) has been hired to
do requires specialized rigging services which Alexandra is proficient in. We would like to have her
join us from September 11th, 2024 (travel Date) to on or before October 5th, which will be our
completion date. The project is located at the Downsview Airport, 123 Garratt Blvd, Toronto, ON M3K
1Y5, Canada. We will be working every day and while in Canada Alexandra will be staying at a local
hotel (Residence Inn, Courtyard…) located in Vaughn, Canada.
As the owner of Silverback Productions, I understand the importance of this request. If you need to
reach me for any reason, please do not hesitate to call me, 917-743-4789. If you need further
assistance please feel free to call my office Monday to Friday 8:00AM to 5:00 PM
2024
Thank you,
Andrew L. Gasparro
Partner/CEO
Silverback Productions LLC
Case 0:23-cr-60170-RNS Document 122 Entered on FLSD Docket 09/03/2024 Page 5 of 5File and source
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