Court filing
United States' Response to Motion Seeking International Travel — United States v. Bridgitte Keim
Record facts
| Court | U.S. District Court, Middle District of Florida |
|---|---|
| Filed | 2026-03-23 |
U.S. District Court, Middle District of Florida · No. 8:21-cr-00370 · Doc. 51 · 2026-03-23 · Docket on CourtListener
Summary
The United States' response to the defendant's motion seeking international travel (Doc. 48) in United States v. Bridgitte Keim, Case No. 8:21-cr-370-CEH-JSS, in the U.S. District Court for the Middle District of Florida, filed March 23, 2026 as Document 51. The response states that the defendant is scheduled to terminate supervision on July 20, 2026. It reports that her Probation Officer will not approve travel requests until a financial investigation is completed so that a restitution amount can be calculated. The United States opposes the motion until that investigation is completed and states it will not oppose the relief if the conclusions are satisfactory to the U.S. Probation Office. The three-page filing is signed by a Special Assistant United States Attorney and includes a certificate of service.
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
UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION UNITED STATES OF AMERICA v. BRIDGITTE KEIM CASE NO. 8:21-cr-370-CEH-JSS UNITED STATES RESPONSE TO DEFENDANT’S MOTION SEEKING INTERNATIONAL TRAVEL The United States of America, by Gregory W. Kehoe, United States Attorney for the Middle District of Florida, respectfully responds to defendant’s motion seeking international travel. (Doc. 48). The defendant is scheduled to terminate supervision on July 20, 2026. The United States has spoken with the defendant’s Probation Officer who has advised that she will not be approving any travel requests until the defendant’s financial investigation is completed, so that an appropriate restitution amount can be calculated. Undersigned counsel believes that the financial investigation is in process. The United States opposes the defendant’s Motion until such time as her financial investigation is completed. If the investigation’s conclusions are satisfactory to the U.S. Probation Office, then the United States will not oppose the relief the defendant is seeking in her Motion. Case 8:21-cr-00370-CEH-T_W Document 51 Filed 03/23/26 Page 1 of 3 PageID 194 2 Respectively submitted, Gregory W. Kehoe United States Attorney By: /s/ Christopher Poor Christopher Poor Special Assistant United States Attorney United States Attorney No.: 152 400 N. Tampa Street, Suite 3200 Tampa, Florida 33602-4798 Telephone: (813) 274-6000 Facsimile: (813) 274-6125 E-mail: Christopher.Poor@usdoj.gov Case 8:21-cr-00370-CEH-T_W Document 51 Filed 03/23/26 Page 2 of 3 PageID 195 3 U.S. v. Keim Case No. 8:21-cr-370-CEH-JSS CERTIFICATE OF SERVICE I hereby certify that on March 23, 2026, I electronically filed the foregoing with the Clerk of the Court by using the CM/ECF system and will send a copy to the defendant via United States Mail at the following address: Bridgitte Keim 105 Glen Ridge Avenue Tampa, FL 33617 /s/ Christopher Poor Christopher Poor Special Assistant United States Attorney United States Attorney No.: 152 400 N. Tampa Street, Suite 3200 Tampa, Florida 33602-4798 Telephone: (813) 274-6000 Facsimile: (813) 274-6125 E-mail: Christopher.Poor@usdoj.gov Case 8:21-cr-00370-CEH-T_W Document 51 Filed 03/23/26 Page 3 of 3 PageID 196
File and source
- File
- gov.uscourts.flmd.396399.51.0.pdf
- Size
- 75,782 bytes
- SHA-256
- 935c64db9a0fb246b847e944da7e6d722dc8e5656c8e56aa148d1e8ea44a42a8
- Original
- PACER (login required)