Justia White Collar Crime Opinion Summaries

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The First Circuit affirmed Defendant’s convictions for tax evasion, unlawful distribution of controlled substances, and health-care fraud, holding that Defendant was fairly tried and lawfully convicted. The Court held (1) the district court did not err in admitting other-acts evidence regarding Defendant’s sexual abuse of his daughter; (2) any error in the other evidentiary rulings disputed by Defendant on appeal were harmless; (3) the district court did not err in refusing to sever the tax evasion counts; (4) Defendant’s challenges to the district court’s jury instructions on the drug-distribution counts were unavailing; and (5) the evidence was sufficient to sustain Defendant’s conviction on the drug-distribution counts. View "United States v. Sabean" on Justia Law

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The First Circuit affirmed the convictions of co-defendants Doris Morel and Erika Tomasino for conspiracy and multiple fraud-related counts based on their participation in a multi-year tax-return fraud scheme.On appeal, Morel raised only a Batson jury claim. Tomasino adopted the Batson claim and raised four claims of her own. The First Circuit denied the claims, holding (1) the Batson challenge patently lacked merit; (2) the government produced sufficient evidence to support Tomasino’s conviction for aggravated identity theft; (2) the district court did not err in giving the jury a Pinkerton instruction; (3) the district court did not commit clear error in admitting against Tomasino incriminating statements made by Morel; and (4) the district court properly admitted testimony from IRS Special Agent Matthew Amsden. View "United States v. Morel" on Justia Law

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RTSI produces and maintains traffic safety systems. Rosenberg was RTSI’s Vice President of Sales. RTSI contracted to manage Chicago's automated red light enforcement program. In 2012, the Chicago Tribune published articles, disclosing an improper relationship between a city employee (Bills) and RTSI. The city removed RTSI’s bid for the new contract. The City Office of Inspector General (OIG) investigated the bribery scheme. RTSI conducted an independent investigation and provided OIG with information. OIG advised Rosenberg that he had a duty to cooperate and that his statements would not be used against him in a criminal proceeding. Rosenberg described the bribery scheme between RTSI and Bills. RTSI terminated Rosenberg’s employment.The Tribune reported that RTSI courted Bills with thousands of dollars in free trips. Rosenberg sued RTSI under the qui tam provision of the City’s False Claims Ordinance, alleging that RTSI engaged in bribery and other illegal activities to obtain a city contract. The city intervened, making additional claims. The court dismissed Rosenberg as relator. The remaining parties settled and moved for dismissal with prejudice. Rosenberg unsuccessfully sought an award of a relator’s share of the settlement and attorney’s fees for his lawyer’s contributions to the case. The Seventh Circuit affirmed, noting that Rosenberg helped to perpetrate the fraud and referring to Rosenberg’s “audacity.” Rosenberg was neither the original source of the information nor was he a volunteer under the ordinance. View "Rosenberg v. Redflex Traffic Systems, Inc." on Justia Law

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The Fourth Circuit affirmed defendant's conviction and sentence for one count of bank fraud conspiracy and two counts of aggravated identity theft. The court held that the evidence was sufficient to convict defendant of bank fraud conspiracy; the district court did not err in failing to conduct an in camera review to determine whether material required disclosure under the Jencks Act, 18 U.S.C. 3500(b), or pursuant to Brady v. Maryland, 373 U.S. 83 (1963); the district court did not err by declining to provide defendant's requested jury instruction on accomplice testimony, and by providing the jury with a written copy of the jury instruction on aiding and abetting liability; the district court did not erroneously apply a two-level sentencing enhancement for obstruction of justice, a ten-level sentencing enhancement based on the amount of loss, a two-level sentencing enhancement based on use of sophisticated means, a three-level sentencing enhancement based on his role in the offense as a manager or supervisor; and the district court did not abuse its discretion by requiring part of defendant's sentences to run consecutively. View "United States v. Savage" on Justia Law

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The Eleventh Circuit affirmed Defendant Skillern and Nelson's convictions for mail fraud, wire fraud, and associated conspiracies. Defendants' convictions stemmed from their efforts to peddle non-existent gold to the public through their company, Own Gold LLC. In this case, Skillern alleged that the district court deprived him of his Sixth Amendment right to the assistance of counsel when, just before an overnight recess that occurred while Skillern was on the stand, the district court granted his lawyer's request to speak to him "about matters other than his testimony." The court held that the district court did not commit constitutional error in light of the court's en banc decision in Crutchfield v. Wainwright, 803 F.2d 1103 (11th Cir. 1986), because the record did not reflect that Skillern (or his lawyer) actually wanted or planned to discuss his testimony during the recess. The court rejected defendants' remaining contentions. View "United States v. Nelson" on Justia Law

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Adrian established Red Brick Properties, to purchase, rehabilitate, and resell homes. Adrian's wife, Daniela, the only employee with a real estate license, served as office manager. They sought buyers who did not have good enough credit or a down payment and assisted them in applying for mortgage loans. In 2007-2009, Red Brick sold 45 houses, providing the down payment for each sale; the loan applications falsely stated that the buyers were using their own money. After closing, Red Brick provided the buyers with additional money, to ensure that they could make at least two payments before defaulting. Bank of America which provided the loans for 32 sales, all processed by one loan officer, opened an investigation. A jury convicted Adrian and Daniela of wire fraud, 18 U.S.C. 1343 and conspiracy to commit wire fraud, 18 U.S.C. 1349. Following a remand, the PSR recommended a total loss amount of $1,835,861; the court sentenced Adrian to 36 months’ imprisonment, Daniela to 21 months’ (both sentences were below the Guidelines range), and imposed a $30,000 fine on each. The Seventh Circuit affirmed, rejecting a challenge to the intended loss calculation under U.S.S.G. 2B1.1, and the decision to deny Daniela a minor-role reduction under U.S.S.G. 3B1.2. Bank of America’s losses qualified as an “intended loss” regardless of its level of complicity. View "United States v. Tartareanu" on Justia Law

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Armenta worked at Passages as a certified nursing assistant and later as a regional director of certified nursing assistants. Passages billed its services to Medicare. Medicare paid $180 per patient per day for routine services but up to $700 for general inpatient services (GIP). Passages began paying directors based on the number of patients on GIP. The number of patients on GIP significantly increased because directors instructed nurses and nursing assistants to place patients who did not need that level of care on GIP. Passages received an audit request from a Medicare contractor. In response, Armenta and other Passages employees entered false information consistent with GIP care and billing into patient files, then submitted the altered files. Passages employees, including Armenta, were trained on the requirements for placing a patient on GIP. Armenta told the nurses to disregard the training. Armenta and others were charged with health care fraud. Only Armenta proceeded to trial. With a two-level enhancement for obstruction of justice based on lying on the stand and altering records, her Guidelines imprisonment range was 63-78 months.The Seventh Circuit affirmed her conviction and sentence of 20 months’ imprisonment plus $1.67 million in restitution. Although no government witness identified Armenta in court, the defense did not argue that the Armenta in the courtroom was not the same Armenta involved in the fraud. View "United States v. Armenta" on Justia Law

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Miller obtained identifying information for several individuals without their knowledge or consent, which he used to open credit card accounts; he opened UPS mailboxes under the victims’ names to receive the cards, which he used to withdraw cash from ATMs. Miller also used personal identifying information to submit 600 fraudulent claims and obtain unemployment insurance benefits from the Texas Workforce Commission. Miller was charged with both schemes. After releasing him on bond, the court discovered Miller stole $13,750 from the correctional facility where he was detained. Miller fled to and was later found, in the Dominican Republic. Miller eventually pleaded guilty to mail fraud affecting a financial institution, 18 U.S.C. 1341, and aggravated identity theft, 18 U.S.C. 1028A(a)(1). The Seventh Circuit affirmed in part, rejecting arguments that the indictment failed to specify proper means of identification of the victims and that the court improperly applied two points to his criminal history calculation for committing the charged crimes while under a criminal justice sentence. Miller possessed over 200 means of identification in a single notebook, used to carry out a common scheme and can only be convicted of one violation each of sections 1028(a)(7) and 1028A(a)(1), which criminalize the knowing possession of “a means of identification of another person” View "United States v. Miller" on Justia Law

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The First Circuit affirmed Defendant’s convictions for federal program bribery, lying to a federal agent, and obstructing justice. The court held that, contrary to Defendant’s arguments on appeal, (1) the district court’s jury instructions did not effect a constructive amendment of the indictment on the bribery count; (2) the erroneous inclusion of a unanimity instruction in the jury charge on the particular benefits included within the “stream of benefits” alleged by the government on the bribery count did not prejudice Defendant; and (3) the court did not err in admitting evidence of prior bad acts and adequately instructed the jury about the testimony of immunized cooperating witnesses. View "United States v. Lopez-Cotto" on Justia Law

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The First Circuit affirmed Defendant’s convictions for federal program bribery, lying to a federal agent, and obstructing justice. The court held that, contrary to Defendant’s arguments on appeal, (1) the district court’s jury instructions did not effect a constructive amendment of the indictment on the bribery count; (2) the erroneous inclusion of a unanimity instruction in the jury charge on the particular benefits included within the “stream of benefits” alleged by the government on the bribery count did not prejudice Defendant; and (3) the court did not err in admitting evidence of prior bad acts and adequately instructed the jury about the testimony of immunized cooperating witnesses. View "United States v. Lopez-Cotto" on Justia Law