Kashamu v. Department of Justice

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In 1998, Kashamu and others were charged with conspiracy to import heroin, 21 U.S.C. 963. Kashamu, refusing to appear (which would have required his presence in the U.S.), insisted that the crimes were committed by his dead brother. He surfaced in England six months later, beginning a four‐year unsuccessful extradition effort. Later Kashamu moved to dismiss the indictment, arguing that collateral estoppel barred his prosecution. The Seventh Circuit denied that motion, reasoning that the magistrate in extradition had not ruled on Kashamu’s guilt, but had only been unconvinced regarding Kashamu’s identity. Three years later Kashamu unsuccessfully sought mandamus to dismiss the indictment on speedy‐trial grounds. The Seventh Circuit concluded that he had forfeited that right by remaining a fugitive. In 2015, after his election to the Nigerian Senate, Kashamu filed suit, claiming to have information that U.S. authorities were planning to abduct him in Nigeria. He cited the Mansfield Amendment, 22 U.S.C. 2291(c)(1), which states that “no officer or employee of the United States may directly effect an arrest in any foreign country as part of any foreign police action with respect to narcotics control efforts.” The Seventh Circuit affirmed dismissal, holding that the Amendment does not create a private right of action. Kashamu’s suit also confused a lawful attempt by U.S. agents to arrest him on a provisional warrant (a first step toward extradition) in coordination with local law enforcement, with an attempted abduction. . View "Kashamu v. Department of Justice" on Justia Law