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Home Court filings United States v. Renetta Golden-Larimore, et al. Defendant's Pro Se Motion for Early Termination of Probation — Cameron P. Henderson — United States v. Renetta Golden-Larimore, et al. (W.D. Mo.)

Court filing

Defendant's Pro Se Motion for Early Termination of Probation — Cameron P. Henderson — United States v. Renetta Golden-Larimore, et al. (W.D. Mo.)

Filed March 16, 2026 in United States v. Renetta Golden-Larimore, et al.; one of 9 filings from this case.

Record facts

CourtU.S. District Court, Western District of Missouri
Filed2026-03-16

U.S. District Court, Western District of Missouri · No. 4:23-cr-00098-BCW · Doc. 412 · 2026-03-16 · Docket on CourtListener

Full text

Docket #4:23-CR-00098-BC W-4

Cameron p. Henderson
2904 N River
Independence, MO 64055
816-824-1594

To Whom It May Concern,

I have had the opportunity of building, learning from my past behaviors and
reshape broken areas of my life. This has been a humbling process which has
allowed me to advocate for myself and other youth. I am requesting your
consideration for a reduction in probation time with confidence knowing the hard
work put in leading up to this request.

I have experienced a personal evolution — one rooted not only in compliance with
probation requirements but in a true, heartfelt desire to live differently. My journey
has not been easy with being on probation and dealing with depression along with
grief. Despite the mental health issues, I continue to face the challenges with
honesty and perseverance.

One of the most inspiring and humbling parts of this journey has been my
dedication to serving as a referee and role model for young students. I serve as a
role model, and I notice how some of the student look up to me — not just because
of the games I referee but because of the encouragement, patience, and positive
example I bring into each interaction.

As a Youth Behavioral Specialist, I speak to the residents from a place of lived
experience and genuine care and not from a place of judgement. I speak to them
about discipline, respecting themselves, and staying drug-free. I consistently
encourage them to make good choices and overcome setbacks.

My efforts are not performative. I truly want better — for myself, my family, and
for those I meet. I have embraced accountability, sobriety, and service in a way that
reflects authentic growth and my long-term commitment to change. ~

For these reasons, I sincerely believe that I not only met the expectations placed
upon me and have gone above and beyond in demonstrating personal responsibility
and positive transformation. A reduction in probation time would support my
continued progress and allow me to further invest in the meaningful contributions I
have made and am already making.

Thank you for your time, understanding, and consideration.

Sincerely,

Cameron P. Henderson

Case 4:23-cr-00098-BCW Document 412 Filed 03/16/26

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