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Court filing — United States v. Bock et al. (Feeding Our Future) (Dkt. 150, D. Minn.)

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PS 8                                                                              Filed by the
(Rev 5/10)                                                                        Clerk
                          UNITED STATES DISTRICT COURT
                                          for
                                District of Minnesota

U.S.A. vs. Ahmed Abdullahi Ghedi                   Docket No. 0864 0:22CR00223-013 (NEB-TNL)
                         Petition for Action on Conditions of Pretrial Release

       COMES NOW Corey S. Grandner, U.S. PROBATION OFFICER OF THE COURT,
presenting an official report regarding Ahmed Abdullahi Ghedi who was placed under pretrial
supervision by the Honorable David T. Schultz, sitting in the Court at Minneapolis on the 20th
day of September, 2022, under the following special conditions:

       •     Pretrial Services Supervision
       •     Surrender Passport (Satisfied on 10/26/2023)
       •     Obtain No New Passport
       •     Travel Restrictions
       •     No Contact with Victim / Witness / Codefendants
       •     Mental Health Evaluation / Treatment (Satisfied on 12/05/2022)
       •     Weapons Restriction
       •     Report Contact with Law Enforcement
       •     Other Financial Obligations
       •     Employment Requirements / Restrictions
       •     Residential Requirements / Restrictions
       •     No Unapproved Credit Card Charges / Lines of Credit
       •     Financial Disclosures
       •     No Access to Federal Child Nutrition Program Funds

Ghedi is pending disposition for the following offenses: Conspiracy to Commit Wire Fraud
(Count 1), in violation of 18 U.S.C. §§ 371, 1343; Wire Fraud (Counts 2, 5, and 12), in violation
of 18 U.S.C. § 1343; Federal Programs Bribery (Count 23), in violation of 18 U.S.C.
§ 666(a)(1)(B), (a)(2); Conspiracy to Commit Money Laundering (Count 41), in violation of 18
U.S.C. § 1956(a)(1)(B)(i); and Money Laundering (Counts 43, 46, 53, and 56), in violation of 18
U.S.C. § 1957.

RESPECTFULLY PRESENTING PETITION FOR ACTION OF COURT FOR CAUSE AS
FOLLOWS:

As outlined in Ghedi’s motion (CM/ECF Doc. 143), he intends to relocate to the Northern
District of Texas. To facilitate the relocation, the modification below is recommended.

Additionally, to appropriately monitor Ghedi’s compliance, drug testing conditions are
recommended given his history of substance-related arrests and convictions.


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