Justia U.S. 7th Circuit Court of Appeals Opinion Summaries
Articles Posted in White Collar Crime
United States v. Hussein
Defendant operated what appeared to be convenience stores, but in fact were fronts that rang up phony sales for food-stamp recipients to exchange their benefits for discounted amounts of cash. When federal investigators discovered the scheme at one location, he obtained government authorization to accept food stamps at a different address and continued the operation. Defendant eventually pleaded guilty to eight counts of wire fraud, 18 U.S.C. 1343, and was sentenced to 60 months' imprisonment and ordered to pay almost $1.7 million in restitution. The Seventh Circuit affirmed. The district court properly imposed a 16-level sentencing increase under 2B1.1(b)(1)(I) for a loss of more than $1 million because. If anything, the court underestimated the loss. The court properly assessed a 4-level increase under 3B1.1(a) for leadership in an "extensive" scam; defendant ran the scam from multiple locations, traded cash for benefits with "probably hundreds" of customers, and supervised employees at his stores.
United States v. Kokeni
Defendant was convicted of eight counts of filing a false income tax return (26 U.S.C. 7206(1)). The Seventh Circuit affirmed. Although the district court applied the wrong standard in determining whether defendant could assert good faith, the error was harmless given overwhelming evidence of a lack of good faith. The court properly held that he could not present evidence of good faith unless he waived his Fifth Amendment rights and testified and relied on acquitted conduct concerning his sisters' tax returns in determining the sentence to be imposed.
United States v. Hassebrock
Defendant was convicted of tax evasion, a felony (26 U.S.C. 7201), and failure to file a tax return for the 2004 tax year, a misdemeanor (26 U.S.C. 7203). The Seventh Circuit affirmed in part. Defendant waived his claim under the Speedy Trial Act (18 U.S.C. 3162) by failing to move to dismiss the indictment prior to trial. Defendant presented no support for arguing a Sixth Amendment violation caused by the pretrial delay and waived a multiplicity challenge to his indictment. The convictions were supported by substantial evidence and the sentence was reasonable. The district court has authority to impose restitution as a condition of supervised release; the court vacated and remanded for a determination of whether it had done so.
United States v. Muoghalu
Defendant was the pharmacy director of a medical center and had influence over decisions concerning which drugs to stock. Levato was the local business manager of a pharmaceutical company. Levato agreed to pay defendant $18,000 not to switch away from his company's drug, and made computer entries recording nine nonexistent speeches given by defendant for the pharmaceutical company; defendant later received another $14,000 for more fictitious speeches. After investigation by an FDA agent, Levato and defendant were indicted. Levato plead guilty and testified against defendant. Defendant was convicted of solicitation and receipt of kickbacks and sentenced to 22 months in prison. The Seventh Circuit affirmed. Memoranda prepared by the Department of Health and Human Services, discovered by the prosecution after trial, did not constitute exculpatory material withheld by the prosecution. The court noted that the documents would have strengthened the prosecution case.
United States v. Persfull
The same day that debtor discharged his debts in a Chapter 7 bankruptcy, his mother, died, leaving debtor and his brother equal shares in an estate. Debtor signed a disclaimer of his interest, but never told the trustee about his inheritance. Following a series of transactions between the brothers and various accounts, the U.S. Attorney's office launched an investigation, and the brothers were charged with bankruptcy fraud (18 U.S.C. 157(3)). Debtor was also charged with impeding a bankruptcy trustee in the course of his duties (18 U.S.C. 152(1)) and fraudulently concealing assets. The Seventh Circuit affirmed. The circumstantial evidence was sufficient for a reasonable jury to find that the brothers engaged in a fraudulent scheme. The court also rejected a claim of ineffective assistance of counsel.
United States v. Lee
Defendant pled guilty, in 1997, to multiple counts of fraud, money laundering, and perjury and was sentenced to 78 months' imprisonment, five years of supervised release, and ordered to pay $1,587,321.50 in restitution and to forfeit $337,000. The government obtained a turnover order targeting payments defendant had received from three retirement savings plans provided through his employer under the Mandatory Victims Restitution Act, 18 U.S.C. 3613(a). The Seventh Circuit vacated. The targeted funds are a defined benefit plan, a 401(k) plan, and a "non-qualified" plan. The Consumer Credit Protection Act limits garnishment to 25% of the party's "aggregate disposable earnings of any individual workweek," 15 U.S.C. 1673(a), and applies to the periodic payments from a pension or retirement program.
United States v. Kubeczko
Defendant did not inform the government when his mother died, but, for 12 years cashed checks for benefits she had earned under the Civil Service Retirement System, netting $158,000. He pleaded guilty to mail fraud. His Guidelines sentencing range was 21 to 27 months, but the judge sentenced him to 30 months, because she believed that he needed treatment for mental illness and alcoholism and that it would take more than 18 months. The Seventh Circuit vacated. While the appeal was pending, the Supreme Court held that a sentencing judge is to recognize that imprisonment is not an appropriate means of promoting correction and rehabilitation, 18 U.S.C. 3582(a), and may not increase the length of a prison term in order to facilitate rehabilitation or correction.
United States v. Scott
After a pyramid scheme that he had maintained for nearly a decade came to light, defendant pleaded guilty to one count of fraud, 18 U.S.C. 1341. The district court sentenced him well above the applicable guidelines range to 120 months. The Seventh Circuit affirmed, rejecting a claim that the court erroneously applied a 4-level adjustment under U.S.S.G. 2B1.1(b)(2)(B) for defrauding more than 50 victims and a claim that the sentence was substantively unreasonable.
United States v. Leiskuna
Defendant, a participant in a major mortgage fraud scheme, pled guilty to committing wire fraud as part of that scam and was sentenced to 37 months in prison and ordered to pay $1,792,000 in restitution. His role was to act as a "straw," or fake, buyer of seven properties, and to cause $4,473,161.55 to be transferred from unwitting mortgage companies to their banking partners; he received $90,000 from his co-schemers. The Seventh Circuit affirmed in part, reversed in part, and remanded. The district court acted within its discretion in rejecting defendant's assertion that his sentence should be lower because he gave the government substantial assistance. The court should have explained its rationale in attributing a "reasonably foreseeable" loss amount to defendant. The court also erred in interpreting the minor role sentencing adjustment guideline when it stated that an act otherwise deemed minor could, if repeated, necessarily preclude the adjustment, and that a person playing a necessary role cannot play a minor role. The court should evaluate his role in context of other participants in the scheme, keeping in mind that a minor player is substantially less culpable than the average participant, not the leaders.
United States v. Boender
In 2004, defendant spent approximately $38,000 on home repairs for a Chicago alderman, a crucial player in defendant's attempt to have industrial property rezoned for commercial and residential development. Defendant also convinced business associates to donate, at his expense, to the alderman's aunt's congressional campaign. During an investigation, defendant fabricated an invoice for the home repairs, purportedly sent from his general contractor to defendant. The Seventh Circuit affirmed convictions for bribing a local official (18 U.S.C. § 666(a)(2)); exceeding federal campaign contribution limits through straw-man donations (Federal Election Campaign Act, 2 U.S.C. 441a(a)(1),441f & 437g(d)(1)(A)(ii)); and endeavoring to obstruct justice (18 U.S.C. 1503(a)). The government was not required to establish a specific quid pro quo of money in exchange for a legislative act. The district court acted within its discretion in holding an adversarial in camera hearing to determine the existence of the crime-fraud exception. Section 441f unambiguously proscribes straw man, as well as false name, contributions.