Court filing
Motion to Release Bond Obligation (Corporate Surety Bond) — USA v. Keough (Dkt. 61, S.D. Fla. No. 9:23-mj-08393, docketed in No. 9:23-cr-80154)
Filed April 24, 2024 in USA v. Keough; one of 55 filings from this case.
Record facts
| Court | U.S. District Court for the Southern District of Florida |
|---|---|
| Filed | 2024-04-24 |
U.S. District Court for the Southern District of Florida · No. 9:23-cr-80154-DMM · Doc. 61 · 2024-04-24 · Docket on CourtListener
Full text
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
CASE NO.: 23CR80154
UNITED STATES OF AMERICA,
Plaintiff,
vs.
GREGORY SCOTT KEOUGH,
Defendant.
______________________________/
MOTION TO DISCHARGE CORPORATE SURETY BOND
COMES
NOW
the
Defendant,
GREGORY
SCOTT
KEOUGH
(hereinafter
“KEOUGH”), by and through undersigned counsel, David J. Joffe, pursuant to the Local Rules
for the Southern District of Florida and the Federal Rules of Criminal Procedure and would
hereby file this Motion to Discharge Corporate Surety Bond. As grounds in support of this
motion would state the following factual basis:
1. On September 6, 2023, a $1,500.000.00 Corporate Surety bond was posted for KEOUGH
by Allegheny Casualty Company [DE:29].
2. On February 8, 2024, this Court entered a judgment sentencing KEOUGH to
imprisonment for a term of 30 months.
3. KEOUGH is presently serving his sentence at Montgomery FPC under the supervision
of the Bureau of Prisons.
4. There are no further pending matters before this Honorable Court.
5. It is respectfully requested that this Court enter an order discharging the above Corporate
Surety Bond.
Case 9:23-cr-80154-DMM Document 61 Entered on FLSD Docket 04/24/2024 Page 1 of 2
WHEREFORE, the Defendant respectfully requests this Honorable Court grant the instant
motion and Discharge the Corporate Surety Bond posted by Allegheny Casualty Company in the
above styled cause.
CERTIFICATE OR SERVICE
I HEREBY CERTIFY that on April 24, 2024, I electronically filed the foregoing
document with the Clerk of the Court using CM/ECF.
Respectfully submitted,
JOFFE LAW, P.A.
Attorney for Defendant
The 110 Tower Building
17th Floor, Suite 1700
Fort Lauderdale, Florida 33301
Telephone:
(954) 723-0007
Facsimile:
(954) 723-0033
davidjjoffe@aol.com
_____________________________
DAVID J. JOFFE, ESQUIRE
FLORIDA BAR NO. 0814164
Case 9:23-cr-80154-DMM Document 61 Entered on FLSD Docket 04/24/2024 Page 2 of 2File and source
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