United States v. Harris

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Harris, a registered stockbroker, and his co-conspirators, including government witness Durand, agreed to recommend shares of Zirk de Maison’s companies to clients in exchange for commissions. The Financial Industry Regulatory Authority began an investigation and questioned Harris and Durand on wire transfers from certain organizations controlled by de Maison. The two told investigators that the deposits resulted from selling expensive watches, and sent letters to FINRA summarizing this fictitious explanation. After Harris was arrested, he purportedly called and texted Durand on multiple occasions, instructing him to stick with their story. Durand later admitted that the watch story was entirely false. Harris was convicted of conspiracy to commit securities fraud or wire fraud, 18 U.S.C. 1343, 1348, 1349; obstruction of justice, 18 U.S.C. 1503, and three counts of wire fraud, 18 U.S.C. 1343. The district court sentenced Harris to 63 months’ imprisonment and $843,423.91 in restitution. The Sixth Circuit vacated. The district court abused its discretion by not allowing Harris to introduce a prior inconsistent statement for impeachment of a government witness. The court upheld the admission of government summary exhibits and a jury instruction relating to stockbroker’s fiduciary duties. Harris presented a colorable claim of extraneous influence on a juror, so the court abused its discretion by failing to hold a "Remmer" evidentiary hearing or by denying defense counsel’s request to question the juror and his friend. View "United States v. Harris" on Justia Law