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Home Court filings U.S. v. Amber Rewis Bruey Amended Motion for a 90-Day Extension of Amber Rewis Bruey's April 1, 2023 Report Date

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Amended Motion for a 90-Day Extension of Amber Rewis Bruey's April 1, 2023 Report Date

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Case 2:21-cr-00074-TPB-K_D    Document 144   Filed 03/14/23   Page 1 of 8 PageID 1076




                       UNITED STATES DISTRICT COURT
                        MIDDLE DISTRICT OF FLORIDA
                           FORT MYERS DIVISION

  UNITED STATES OF AMERICA

  v.                                              Case No. 2:21-cr-74-TPB-KCD

  AMBER REWIS BRUEY
  ____________________________________/

            AMENDED MOTION FOR A 90-DAY EXTENSION OF AMBER
                REWIS BRUEY’S APRIL 1, 2023, REPORT DATE

        COMES NOW, the defendant, Amber Rewis Bruey, by and through

  undersigned appellate counsel. Due to changes in her circumstances, Ms.

  Bruey hereby moves this Honorable Court for an order to continue her April 1,

  2023, report date for 90 days to June 30, 2023. In support thereof, Ms. Bruey

  states:

        1.     Ms. Bruey pleaded guilty to Counts One through Eleven, and

  Fourteen to Eighteen, of an indictment charging her with various fraud

  offenses. Docs. 109, 132.

        2.      On July 13, 2022, this Honorable Court sentenced Ms. Bruey to

  48 months’ imprisonment in the Bureau of Prisons (BOP). Doc. 134 at 18.

        3.      At the time of her sentence, as the Court is aware, Ms. Bruey was

  pregnant and due to deliver her baby in mid-February 2023. Doc. 143 at 18. In

  imposing its sentence, this Court kindly permitted Ms. Bruey to remain

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  released, with conditions, post-judgment, to accommodate her pregnancy and

  allow her an opportunity to spend time with her newborn after the birth. Id.

        4.      At sentencing, this Court stated “[i]f it turns out something goes

  wrong with that pregnancy, which God forbid, I’m not hoping for that, but if

  something does, we’ll need to know about that, and her turn-in date needs to

  be reevaluated.” Id. Unfortunately, Ms. Bruey’s pregnancy was far more

  complicated than anticipated.

        5.      Ms. Bruey’s pregnancy was plagued with substantial health

  problems, including preeclampsia with severe features of pulmonary edema

  and        orthopnea.      See    Pulmonary       edema,       Mayo       Clinic,

  https://www.mayoclinic.org/diseases-conditions/pulmonary-edema/ symptoms-

  causes/syc-20377009 (last visited March 14, 2023) (“Pulmonary edema is a

  condition caused by too much fluid in the lungs. This flued collects in the many

  air sacs in the lungs, making it difficult to breathe.”); see also What Is

  Orthopnea?, WebMD, https://www.webmd.com/lung/lung-what-is-orthopnea

  (last visited March 14, 2023) (“Orthopnea means you find it harder to breathe

  when you lie down because of fluid in your lungs . . . . Orthopnea usually

  happens because your heart isn’t strong enough to pump out all the blood sent

  from your lungs. This is called heart failure.”); Preeclampsia Foundation,

  https://www.preeclampsia.org/, (last visited Mar. 14, 2023) (Preeclampsia is a


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  serious, life-threatening hypertensive disorder that occurs during pregnancy

  and the postpartum period, more often characterized by a rapid rise in blood

  pressure that can lead to seizure, stroke, multiple organ failure, and even the

  death of the mother and/or baby).

        6.     Due to her health problems, including hypertension, Ms. Bruey

  was on bedrest for the last month of her pregnancy. She was induced early and

  prematurely gave birth to her child on January 21, 2023 (at 35 weeks) because

  of preeclampsia “with severe features.”

        7.     Following the birth of her youngest child, Ms. Bruey had to be

  readmitted at the hospital for worsening shortness of breath. Ms. Bruey has

  since continued to have medical issues that have arisen due to her heart and

  chronic persistent asthma.

        8.     Ms. Bruey’s premature baby has also had continuous medical

  evaluations, especially for issues related to her heart. Most recently, she had a

  cardiac appointment for a patent foramen ovale. See Patent foramen ovale,

  Mayo Clinic, https:// www.mayoclinic.org/diseases-conditions /patent-foramen-

  ovale/symptoms-causes/syc-20353487 (last visited Mar. 14, 2023) (“A patent

  foramen ovale (PFO) is a hole in the heart that didn't close the way it should

  after birth.” While a PFO may not cause complications itself, people with a




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  PFO may have other heart defects, including low blood oxygen or the

  possibility of an ischemic stroke).

        9.     In addition to Ms. Bruey’s own health problems, and those related

  to the premature birth of her youngest child, two of her sons have recently

  undergone testing for Autism Spectrum Disorder after Ms. Bruey was

  sentenced in this case.

        10.   A psychological evaluation from Kathleen Roszyk (MSc) and

  William La Valle (Psy.D), indicate Ms. Bruey’s second youngest child has been

  diagnosed with Autism Spectrum Disorder, scoring in the Severe Symptoms of

  Autism Spectrum Disorder on the Childhood Autism Rating Scale-Second

  Edition (CARS2). In addition to outlining his difficulty with socialization,

  speech and communication, sensory behaviors, and weight, the psychological

  evaluation outlined 20 pages of guidelines and strategies that would improve

  Ms. Bruey’s son’s behaviors at home and at school. Ms. Bruey needs additional

  time to put those strategies into place and get her son used to the new structure

  and schedule.

        11.    The evaluation also revealed that Ms. Bruey’s son “is at his best

  when no one else is around besides Ms. Bruey.” The report indicates that “Ms.

  Bruey must be the person to give [name redacted] his food and drink;

  otherwise, [h]e will have a meltdown and not eat.” Given her son’s strong


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  attachment to her, Ms. Bruey needs additional time to acquaint her son to the

  caretaker who will be fostering the children while she is in prison.

        12.    Given the circumstances that have changed since Ms. Bruey’s

  sentencing, undersigned counsel respectfully requests this Court continue Ms.

  Bruey’s current report date of April 1, 2023, by 90 days to June 30, 2023.

        13.    This request is made for numerous reasons. First, it allows Ms.

  Bruey the opportunity to continue to attend medical appointments for herself

  following the premature birth of her child, which would be severely disrupted

  if she were to report to the BOP on her current report date in April 2023. Ms.

  Bruey’s physicians have discussed the importance of close postpartum

  surveillance and the resources she needs, including appointments with

  cardiology, neurology, and psychiatry that extend close to her current

  surrender date. See Labor and delivery, postpartum care, Mayo Clinic,

  https://www.mayoclinic.org/healthy-lifestyle/labor-and-delivery/in-depth/post

  partum-complications/art-0446702#:~:text=Common%20post

  partum%20complications&text=Cardiovascular%20diseases,bleeding%20afte

  r%20giving%20birth%20(hemorrhage) (last visited March 14, 2023) (outlining

  complications after childbirth, including the greater risk of dying for those with

  chronic conditions like cardiac disease and high blood pressure).




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        14.   Further, this request allows Ms. Bruey—the sole caretaker of her

  five minor children—to continue to care for the children until the beginning of

  the summer. With the autism diagnosis for one of her sons, and the autism

  testing of another, this three-month period would allow Ms. Bruey to complete

  the testing and establish the groundwork for the support her children need to

  develop with new therapies and routines. It would also allow Ms. Bruey to

  continue to attend to her youngest child’s medical appointments after the

  premature birth.

        15.   Counsel spoke with Ms. Bruey’s Probation Officer, Stephen

  Larson. Officer Larson has been supervising Ms. Bruey since May 2022. 1

  Officer Larson was aware of Ms. Bruey’s health problems and stated that Ms.

  Bruey has been diligently contacting him every Friday since the supervision

  began, even while she was hospitalized. Officer Larson indicated that he last

  saw Ms. Bruey on an unannounced visit on February 10, 2023. He stated that

  Ms. Bruey was at the home, with all of her children, as required by the

  conditions of her release. Though Officer Larson gave no formal opinion

  regarding an extension to Ms. Bruey’s surrender date, he stated he had no

  reason to believe Ms. Bruey would have issues with the continued compliance

  of her release requirements.



  1     Undersigned counsel called Officer Larson on March 9, 2023.
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        16.   Counsel contacted AUSA Trenton Reichling who advised that he

  spoke with his supervisor and opposed the 90-day extension.

        17.   Ms. Bruey received her BOP designation this morning.

        18.   This Court has broad discretion to grant an extension of a

  defendant’s report date for service of sentence. Good cause has been shown

  here to support such a continuance.

                                CONCLUSION

        For the reasons stated above, Ms. Bruey respectfully requests that this

  Honorable Court extend her surrender date by 90 days, from April 1, 2023 to

  June 30, 2023.

                                            Respectfully submitted,


                                            A. Fitzgerald Hall, Esq.
                                            Federal Defender, MDFL


                                            /s/ Shehnoor Kaur Grewal
                                            Shehnoor Kaur Grewal
                                            Research and Writing Attorney
                                            Utah Bar Number 14662
                                            2075 W. First Street, Suite 300
                                            Fort Myers, Florida 33908
                                            Telephone: (239) 334-0397
                                            E-mail: shehnoor_grewal@fd.org
                                            Appellate Counsel for Ms. Bruey




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Case 2:21-cr-00074-TPB-K_D   Document 144    Filed 03/14/23   Page 8 of 8 PageID 1083




                         CERTIFICATE OF SERVICE

        I HEREBY CERTIFY that undersigned electronically filed the foregoing

  with the Clerk of Court (CM/ECF) by using the CM/ECF system which will

  send a notice of electronic filing to Trenton Reichling, Assistant United States

  Attorney, this 14th day of March 2023.


                                             /s/ Shehnoor Kaur Grewal
                                             Shehnoor Kaur Grewal




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