Pandemic Darlings The pandemic economy, in original documents
Home Source documents Indictment - United States v. Maurice Fayne related docket PPP fraud case (2020-07-28)

Indictment - United States v. Maurice Fayne related docket PPP fraud case (2020-07-28)

Issuer
U.S. District Court for the Northern District of Georgia
Document type
Indictment
Date
2020-07-28
Case
United States v. Maurice Fayne related docket
Case number
1:20-cr-00228

Indictment — United States v. Maurice Fayne related docket PPP fraud case (2020-07-28), dated 2020-07-28, issued by U.S. District Court for the Northern District of Georgia.

Cited in: Arvest Bank · United Community Bank

Full text

      Case 1:20-cr-00228-MHC-JKL      Document 41      Filed 07/28/20   Page 1 of 20

                                                                             FILED IN OPEN COURT
                                                                                U.S.D.C. Atlanta
                                                                                        -

                                                                        it
                                                                                JUL 282020
0R I GI NAL                                                              By:      N. HATTEN, Clerk
                                                                                              t~ty Clerk
                      IN THE UNITED STATES DISTRICT COURT
                    FOR THE NORTHERN DISTRICT OF GEORGIA
                                 ATLANTA DIVISION


     UNITED STATES OF AMERICA

       V.

     MAURICE FAYNE, A/K/A                       INDICTMENT NUMBER
     ARKANSAS Mo,
                                                1 :20-CR-228-MHC-JKL
       AND                                      (FIRST SUPERSEDING)

     DANIEL ERIC JAY,

       DEFENDANTS

                        THE GRAND JURY CHARGES THAT:

                                       Counts 1-3
                                      Wire Fraud
                                    18 U.S.C. § 1343
            From in or about August 2014 through in or about May 2020, in the

            Northern District of Georgia and elsewhere, the Defendant

                          Maurice Fayne, ~~fk/a Arkansas Mo,
            aided and abetted by others known and unknown to the Grand Jury,

            knowingly devised, intended to devise, and participated in a scheme

            and artifice to defraud investors in his trucking business, and for
 Case 1:20-cr-00228-MHC-JKL     Document 41     Filed 07/28/20   Page 2 of 20




     obtaining money from those investors by means of materially false

     and fraudulent pretenses, representations, and promises, and by the

     omission of material facts (the wire fraud scheme).

2.   It was part of the wire fraud scheme that:

     (a)   Defendant Fayne held himself out to be the owner of a

           profitable trucking business. In truth, Defendant Fayne’s

           trucking business did not generate enough revenue to cover its

           expenses. And because Defendant Fayne’s trucking business

           repeatedly failed to pay its bills on time, it was hit with

           multiple tax liens, civil lawsuits, and judgments.

     (b)   Defendant Fayne, personally and through middlemen,

           including T.V., D.J., and MS., caused approximately 20

           individuals to invest over $5 million in Defendant Fayne’s

           trucking business.

     (c)   Defendant Fayne and his middlemen:

              •   made false statements to investors;
              •   concealed material facts from investors; and
              •   provided fraudulent documents to investors.




                                Page 2 of 20
Case 1:20-cr-00228-MHC-JKL    Document 41     Filed 07/28/20   Page 3 of 20




    (d)   Defendant Fayne and his middlemen promised that Defendant

          Fayne’s trucking business would use the investors’ money to

          purchase and operate trucks. Instead, Defendant Fayne used

          the investors’ money to pay his personal debts and expenses,

          and to fund a lifestyle for himself that he otherwise could not

          have afforded. For example, during the course of the wire fraud

          scheme, Defendant Fayne transferred more than $5 million to

          the Choctaw Casino and Resort to cover his personal gambling

          and entertainment expenses.

    (e)   Defendant Fayne and his middlemen promised that investors

          would be repaid from profits generated by Defendant Fayne’s

          trucking business. But because Defendant Fayne squandered

          the investors’ money, Defendant Fayne’s trucking business

          never generated enough revenue to repay the investors. To hide

          that fact from the investors, and to give his trucking business an

          aura of legitimacy, Defendant Fayne used the investors’ own

          money to pay some of them “make-believe profits.”

    (f)   When investors became suspicious that Defendant Fayne and

          his middlemen were not being truthful, Defendant Fayne and
                              Päg&36f20
 Case 1:20-cr-00228-MHC-JKL      Document 41    Filed 07/28/20   Page 4 of 20




            his middlemen made excuses to lull investors into a false sense

            of security and delay their complaints to law enforcement.

3.    On or about each date set forth below, for the purpose of executing

      and attempting to execute the wire fraud scheme, Defendant Fayne

      transmitted and caused to be transmitted by means of wire

      communication in interstate commerce the following writings, signs,

      signals, pictures, and sounds:

 Count        Date        Description
               04-23-20   Defendant Fayne caused $175,000 to be wire
                          transferred from United Community Bank
                          account #1408, held in the name of Flame
                          Trucking Inc., to Navy Federal Credit Union
                          account #6082, held in the name of T.V.
      2        04-24-20   Defendant Fayne caused $30,000 to be wire
                          transferred from United Community Bank
                          account #1408, held in the name of Flame
                          Trucking Inc., to JPMorgan Chase Bank, NA
                          account #0180, held in the name of D.J.
     3         05-01-20   Defendant Fayne caused $25,000 to be wire
                          transferred from United Community Bank
                          account #1408, held in the name of Flame
                          Trucking Inc., to Bank of America, N.A., account
                          #2851, held in the name of M.S.
All in violation of Title 18, United States Code, Section 1343 and Section 2.




                                 Page4of2O
     Case 1:20-cr-00228-MHC-JKL     Document 41      Filed 07/28/20   Page 5 of 20




                                      Count 4
                                    Bank Fraud
                                  18 U.S.C. § 1344
4.       From in or about April 2020 through in or about May 2020, in the

         Northern District of Georgia and elsewhere, the Defendants,

            Maurice Fayne, ~iisia Arkansas Mo, and Daniel Eric Jay,
         aided and abetted by each other and by others known and unknown

         to the Grand Jury, participated in a scheme and artifice to defraud

         United Community Bank, a financial institution as defined in Title 18,

         United States Code, Section 20, and to obtain moneys and funds

         owned by and under the custody and control of United Community

         Bank, by means of materially false and fraudulent pretenses,

         representations, and promises, and by the omission bf material facts

         (the bank fraud scheme).

5.       At all times material to the bank fraud scheme, Defendant Fayne was

         the sole owner of a Georgia corporation called Flame Trucking Inc.

6.       United Community Bank participated as a lender in the Paycheck

         Protection Program (PPP), a loan program created by the United

        States Small Business Administration to help small businesses pay



                   -     -          Pagè5of2O
     Case 1:20-cr-00228-MHC-JKL    Document 41     Filed 07/28/20   Page 6 of 20




         payroll costs, including benefits; interest on mortgages; rent; and

         utilities during the COVID-19 pandemic.

7.       On or about March 29, 2020, Defendant Jay suggested to Defendant

         Fayne that Defendant Fayne obtain a PPP loan under false pretenses

         and use the loan proceeds for an illegal purpose, namely, to make

         payments related to the wire fraud scheme. Defendant Jay later said

         to Defendant Fayne: “[Ijf we can somehow justify 100+ drivers on

         1099 for Flame we have something[.J” Defendant Jay then helped

        Defendant Fayne create fraudulent documents to support a PPP loan

        application.

8.      On or about April 15, 2020, for the purpose of executing and

        attempting to execute the bank fraud scheme, Defendant Fayne

        signed and submitted to United Community Bank a PPP loan

        application in the name of Flame Trucking Inc., which requested a

        loan in the amount of $3,725,500, and which falsely represented that

        Flame Trucking Inc. had 107 employees and an average monthly

        payroll of $1,490,200.

All in violation of Title 18, United States Code, Section 1344 and Section 2.


                                   Page 6of 20
     Case 1:20-cr-00228-MHC-JKL        Document 41    Filed 07/28/20    Page 7 of 20




                                    Count 5
                  False Statement to a Federally-Insured Bank
                               18 U.S.C. § 1014
9.       The facts alleged in paragraphs 5 and 6 are incorporated here.

10.      On or about April 24, 2020, in the Northern District of Georgia and

         elsewhere, the Defendant,

                       Maurice Fayne, a/Ic/a Arkansas Mo,

         aided and abetted by others known and unknown to the Grand Jury,

         knowingly made a false statement for the purpose of influencing the

         action of United Community Bank, an institution the accounts of

         which were insured by the Federal Deposit Insurance Corporation, in

         connection with Flame Trucking’s PPP loan application, when he

         sent an email to United Community Bank, attaching what he

         represented to be October, November, and December 2019 bank

         statements for Flame Trucking’s account at Arvest Bank, when in

         truth and in fact   —   as Defendant Fayne knew   —   those bank statements

        were phony, because Arvest Bank had shut down Flame Trucking’s

         account in September 2019.

All in violation of Title 18, United States Code, Section 1014 and Section 2.




                                       Page 7 of 20
 Case 1:20-cr-00228-MHC-JKL      Document 41        Filed 07/28/20   Page 8 of 20




                                 Counts 6-15
                              Money Laundering
                               18 U.S.C. § 1956
11.   The facts alleged in paragraph 2, including all subparts, are

      incorporated here.

12.   It is also relevant to the Indictment that:

      (a)    In Flame Trucking’s PPP loan application, Defendant Fayne

             certified that the loan proceeds would be used to “retain

             workers and maintain payroll or make mortgage interest

             payments, lease payments, and utility payments, as specified

             under the Paycheck Protection Program Rule.”

      (b)    In Flame Trucking’s PPP loan application, Defendant Fayne

             acknowledged that he could be prosecuted for fraud if the PPP

             loan proceeds were “knowingly used for unauthorized

             purposes.

      (c),   Defendant Fayne knowingly used the PPP loan proceeds for

             unauthorized purposes, including the following:
               •   making payments in furtherance of the wire fraud
                   scheme;
               •   paying restitution;
               •   purchasing jewelry;
               •   paying child support; and
                                 Page 8 of 20
 Case 1:20-cr-00228-MHC-JKL     Document 41    Filed 07/28/20   Page 9 of 20




                  leasing a Rolls-Royce.
      (d)   In or around mid-March 2020, Defendant Fayne contacted one

            of the middlemen involved in the wire fraud scheme, T.V., and

            stated that he was in the process of obtaining a PPP loan.

            Defendant Fayne stated that he planned to use some of the PPP

            loan proceeds to make payments related to the wire fraud

            scheme.

      (e)   On or about April 22, 2020, United Community Bank

            transferred the PPP loan proceeds to United Community Bank

            account #1408, held in the name of Flame Trucking and

            controlled by Defendant Fayne.

      (f)   On or about April 23, 2020, Defendant Fayne wire transferred

            $175,000 in PPP loan proceeds to T.V., as described in Count 1,

            and Defendant Fayne instructed T.V. to use that money to

            conduct certain financial transactions, including those

            described in Counts 6 and 7.



13.   On or about each date set forth below, in the Northern District of

      Georgia and elsewhere, the Defendant,

                                Pa~e9of2D
Case 1:20-cr-00228-MHC-JKL       Document 41      Filed 07/28/20       Page 10 of 20




                     Maurice Fayne, a/ic/a Arkansas Mo,
       aided and abetted by others known and unknown to the Grand Jury,

       knowingly conducted and attempted to conduct a financial

       transaction affecting interstate commerce, which involved the

       proceeds of a specified unlawful activity, that is bank fraud, in

       violation of Title 18, United States Code, Section 1344, knowing that

       the transaction was designed in whole and in part to conceal and

       disguise, the nature, location, source, ownership, and control of the

       proceeds of specified unlawful activity, and while conducting and

       attempting to conduct such financial transaction knowing that the

       property involved in the financial transaction represented the

       proceeds of some form of unlawful activity:

Count       Date    ~Descnption                                    -           -



  6         04-23-20 Defendant Fayne caused $60,000 in PPP loan
                     proceeds to be wire transferred from Navy Federal
                     Credit Union, account #6082, held in the name of
                     T.V., to Sterling National Bank account #5233, held in
                     the name of Lucky Star Licensing.
   7        04-23-20 Defendant Fayne caused $60,000 in PPP loan
                     proceeds to be wire transferred from Navy Federal
                     Credit Union, account #6082, held in the name of
                     T.V., to JPMorgan Chase Bank account #1572, held in
                     the name of Sonoran HomeWatch LLC.


                                ~Pagë 10 Of 20~
.                          -     Pagellbf2O
    Case 1:20-cr-00228-MHC-JKL   Document 41   Filed 07/28/20   Page 11 of 20




    Count    Date     Description
      8      04-24-20 Defendant Fayne caused $75,000 in PPP loan
                      proceeds to be wire transferred from United
                      Community Bank account #1408, held in the name of
                      Flame Trucking Inc., to Regions Bank account #5081,
                      held in the name of J.S.
       9     04-27-20 Defendant Fayne caused J.S. to purchase a $50,000
                      cashier’s check payable to the DeSha County
                      (Arkansas) Sheriff’s Office, to pay restitution owed
                      by Defendant Fayne.
      10     04-23-20 Defendant Fayne caused $350,000 in PPP loan
                      proceeds to be wire transferred from United
                      Community Bank account #1408, held in the name of
                      Flame Trucking Inc., to Wells Fargo Bank, NA
                      account #0467, held in the name of C.W.
      11     04-28-20 Defendant Fayne caused $84,000 in PPP loan
                      proceeds to be wire transferred from Wells Fargo
                      Bank, NA account #0467, held in the name of C.W.,
                      to Bank of America, New York, NY account #9593,
                      held in the name of Status Jewelers, to purchase three
                      pieces of jewelry for Defendant Fayne.
      12     04-30-20 Defendant Fayne caused $40,000 in PPP loan
                      proceeds to be wire transferred from Wells Fargo
                      Bank, NA account #0467, held in the name of C.W.,
                      to Arkansas Federal Credit Union account #5028,
                      held in the name of S.T., to pay child support owed
                      by Defendant Fayne.
      13     04-28-20 Defendant Fayne caused $90,000 in PPP loan
                      proceeds to be wire transferred from United
                      Community Bank account #1408, held in the name of
                      Flame Trucking Inc., to Navy Federal Credit Union
                      account #0090, held in the name of Maurice Fayne.
 Case 1:20-cr-00228-MHC-JKL       Document 41        Filed 07/28/20   Page 12 of 20




 Count       Date     Description
   14        04-30-20 Defendant Fayne caused $142,000 in PPP loan
                      proceeds to be wire transferred from United
                      Community Bank account #1408, held in the name of
                      Flame Trucking Inc., to Navy Federal Credit Union
                      account #0090, held in the name of Maurice Payne.
      15     05-01-20 Defendant Fayne caused $136,000 in PPP loan
                      proceeds to be wire transferred from Navy Federal
                      Credit Union account #0090, held in the name of
                      Maurice Payne, to M & T Bank account #4612, held
                      in the name of Luxury Lease Company, as a down
                      payment on the lease of a 2019 Rolls-Royce Wraith,
                      VIN SCA665C53KUX87297.

All in violation of Title 18, United States Code, Section 1956(a)(1)(B)(i) and

Section 2.

                                 Counts 16-18
                               Money Laundering
                                18 U.S.C. § 1957
14.    The facts alleged in paragraph 2, including all subparts, are

       incorporated here

15.    It is also relevant to the Indictment that:

       (a)   On or about April 22, 2020, C.W. created an Arkansas limited

             liability company called C.R. Wilkins Trucking, LLC.

       (b)   The next day, on or about April 23, 2020— on behalf of C.R.

             Wilkins Trucking, LLC    —   C.W. signed a contract to purchase


                                  Pagel2Of20
 Case 1:20-cr-00228-MHC-JKL        Document 41     Filed 07/28/20   Page 13 of 20




            eight Kenworth T-680 trucks from TransAm Trucking, for a

            total of $368,000.

      (c)   Also on or about April 23, 2020— on behalf of C.R. Wilkins

            Trucking, LLC   —    C.W. signed a contract to purchase six

            refrigerated trailers from Great Dane, LLC, for a total of

            $189,000.

16.   On or about each date set forth below, in the Northern District of

      Georgia and elsewhere, the Defendant,

                     Maurice Fayne, 4/h/a Arkansas Mo,
      aided and abetted by others known and unknown to the Grand Jury,

      knowingly engaged in, attempted to engage in, and caused others to

      engage in a monetary transaction by, through, and to a financial

      institution, affecting interstate commerce, knowing that such

      transaction involved criminally derived property of a value greater

      than $10,000, such property having been derived from a specified

      unlawful activity, that is, bank fraud, in violation of Title 18, United

      States Code, Section 1344:

-Count—I-Date           j-Desa4pfion-—                                              I

                                   Pãgê 13 of 20
 Case 1:20-cr-00228-MHC-JKL     Document 41     Filed 07/28/20   Page 14 of 20




    16      04-23-20 Defendant Fayne caused $368,000 in PPP loan
                     proceeds to be wire transferred from United
                     Community Bank account #1408, held in the name
                     of Flame Trucking Inc., to UMB Bank, N.A. account
                     #6105, held in the name of TransAm Trucking
                     Exchange, to purchase eight Kenworth T-680 trucks
                     for C.R. Wilkins Trucking, LLC.
    17      04-23-20 Defendant Fayne caused $189,000 in PPP loan
                     proceeds to be wire transferred from United
                     Community Bank account #1408, held in the name
                     of Flame Trucking Inc., to JPMorgan Chase Bank,
                     NA account #2162, held in the name of Great Dane
                     LLC, to purchase six refrigerated trailers for C.R.
                     Wilkins Trucking, LLC.
    18      04-27-20 Defendant Fayne withdrew $65,000 in cash from
                     United Community Bank account #1408, held in the
                     name of Flame Trucking Inc.

All in violation of Title 18, United States Code, Section 1957 and Section 2.




                                Page 14 of 20
 Case 1:20-cr-00228-MHC-JKL      Document 41     Filed 07/28/20   Page 15 of 20




                            FORFEITURE PROVISION

17.   Upon conviction of one or more of the offenses alleged in Counts 1

      through 5 of this Indictment, the Defendant, Maurice Fayne, a/k/a

      Arkansas Mo, shall forfeit to the United States, pursuant to Title 18,

      United States Code, Section 982(a) (2), any property, real or personal,

      constituting or derived from proceeds obtained, directly or indirectly,

      as a result of the violation, including, but not limited to, the

      following:

      (a)   Money Judgment:
               •   A sum of money in United States currency representing
                   the amount of proceeds obtained as a result of each
                   offense, or conspiracy to commit such offense, for which
                   the Defendant is convicted.

      (b)   Currency and Bank Funds:
               •   $79,482.00 in United States Currency seized on May 11,
                   2020.
               •   $319,113.11 in funds seized from United Community
                   Bank account number XXXXXX14O8 held in the name of
                   Flame Trucking Inc.
               •   $169,650.90 in funds seized from Wells Fargo Bank
                   account number XXXXXXO467 held in the name of C.W.
               •   $60,000.00 in funds seized from Sterling National Bank
                   account number XXXXX5233 held in the name of Lucky
                   Star Licéhsing.


                                 Page 15 of 20
Case 1:20-cr-00228-MHC-JKL    Document 41     Filed 07/28/20   Page 16 of 20




             •   $29,477.91 in funds seized from United Community Bank
                 account number XXXXXX2864 held in the name of IK.L.
             •   $15,195.62 in funds seized from Navy Federal Credit
                 Union account number XXXXXX1000 held in the name of
                 Maurice Johnson Fayne.
             •   $14,169.57 in funds seized from Navy Federal Credit
                 Union account number XXXXXXOO9O held in the name of
                 Maurice Fayne.
             •   $9,362.47 in funds seized from United Community Bank
                 account number XXXXXX2299 held in the name of P.C.
    (c)   Vehicles:
             •   $136,000.00 in funds used as a down payment on, and in
                 lieu of, a 2019 Rolls-Royce Wraith, VIN
                 SCA665C53KUX87297.
             •   2015 Kenworth T-680 truck, VIN 1XKYDP9X3FJ384332.
             •   2015 Kenworth T-680 truck, VIN 1XKYDP9X0FJ384367.
             •   2015 Kenworth T-680 truck, VIN 1XKYDP9X5FJ384364.
             •   2015 Kenworth T-680 truck, VIN 1XKYDP9X5FJ384350.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9X5FJ384347.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9X1FJ384362.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9XXFJ384358.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9XBFJ384343.
            •    2015 Great Dane trailer, VIN 1GRAAO62XFW7O35O1.
            •    2015 Great Dane trailer, VIN 1GRAA0620FW703748.
            •    2015 Great Dane trailer, VIN 1GRAA0629FW703750.
            •    2015 Great Dane trailer, VIN 1GRAA0626FW703754.
            •    2015 Great Dane trailer, VIN 1GRAA0621FW703743.
            •    2015 Great Dane trailer, VIN 1GRAA0621FW703760.
                              Page 16 of 20
 Case 1:20-cr-00228-MHC-JKL      Document 41     Filed 07/28/20   Page 17 of 20




      (d)   Personal Property:
               •   One custom-made 18 kt Rolex 41mm Presidential watch,
                   serial number 56368358, with diamonds, purchased on or
                   about April 28, 2020 for $52,000.00.
               •   One 10 kt custom-made Cuban bracelet with 34.75 carats
                   of diamonds, purchased on or about April 28, 2020 for
                   $24,500.00.
               •   One 14 kt custom-made ring with 5.73 carats of
                   diamonds, purchased on or about April 28, 2020 for
                   $3,750.00.
18.   Upon conviction of one or more of the offenses alleged in Counts 6

      through 18 of this Indictment, the Defendant, Maurice Fayne, a/k/a

      Arkansas Mo, shall forfeit to the United States pursuant to Title 18,

      United States Code, Section 982(a) (1), all property real or personal,

      involved in such offenses and all property traceable to such offenses,

      including but not limited to the following:

      (a)   Money Judgment:
               •   A sum of money in U.S. currency representing the value
                   of the property involved in the offenses for which the
                   Defendant is convicted.
      (b)   Currency and Bank Funds:
               •   $79,482.00 in United States Currency seized on May 11,
                   2020.
               •   $319,113.11 in funds seized from United Community
                   Bank account number XXXXXX14O8 held in the name of
                   Flame Trucking Inc.
                                 Page 17 Of 20
Case 1:20-cr-00228-MHC-JKL    Document 41   Filed 07/28/20   Page 18 of 20




             •   $169,650.90 in funds seized from Wells Fargo Bank
                 account number XXXXXXO467 held in the name of C.W.
             •   $60,000.00 in funds seized from Sterling National Bank
                 account number XXXXX5233 held in the name of Lucky
                 Star Licensing.
             •   $29,477.91 in funds seized from United Community Bank
                 account number XXXXXX2864 held in the name of K.L.
             •   $15,195.62 in funds seized from Navy Federal Credit
                 Union account number XXXXXX1000 held in the name of
                 Maurice Johnson Fayne.
             •   $14,169.57 in funds seized from Navy Federal Credit
                 Union account number XXXXXXOO9O held in the name of
                 Maurice Payne.
             •   $9,362.47 in funds seized from United Community Bank
                 account number XXXXXX2299 held in the name of P.C.
    (c)   Vehicles:
             •   $136,000.00 in funds used as a down payment on, and in
                 lieu of, a 2019 Rolls-Royce Wraith, VIN
                 SCA665C53KUX87297.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9X3FJ384332.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9X0FJ384367.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9X5FJ384364.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9X5FJ384350.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9X5FJ384347.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9X1FJ384362.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9XXFJ384358.
            •    2015 Kenworth T-680 truck, VIN 1XKYDP9XBFJ384343.
                 2015 Great Dane trailer, VIN 1GRAAO62XFW7O35O1.
            •    2015 Great Dane trailer, VIN 1GRAA0620FW703748.
                              PageI8of2O
 Case 1:20-cr-00228-MHC-JKL      Document 41     Filed 07/28/20   Page 19 of 20




               •   2015 Great Dane trailer, VIN 1GRAA0629FW703750.
               •   2015 Great Dane trailer, VIN 1GRAA0626FW703754.
               •   2015 Great Dane trailer, yIN 1GRAA0621FW703743.
               •   2015 Great Dane trailer, VIN 1GRAA0621FW703760.
      (d)   Personal Property:
               •   One custom-made 18 kt Rolex 41mm Presidential watch,
                   serial number 56365358, with diamonds, purchased on or
                   about April 28, 2020 for $52,000.00.
               •   One 10 kt custom-made Cuban bracelet with 34.75 carats
                   of diamonds, purchased on or about April 28, 2020 for
                   $24,500.00.
               •   One 14 kt custom-made ring with 5.73 carats of
                   diamonds, purchased on or about April 28, 2020 for
                   $3,750.00.
19.   If, as a result of any act or omission of the Defendant, any property

      subject to forfeiture, (a) cannot be located upon the exercise of due

      diligence; (b) has been transferred or sold to, or deposited with, a

      third person; (c) has been placed beyond the jurisdiction of the Court;

      (d) has been substantially diminished in value; or (e) has been

      commingled with other property which cannot be subdivided

      without difficulty, the United States intends, pursuant to Title 21,

      United States Code, Section 853(p), as incorporated by Title 18,

      United States Code, Section 982(b), to seek forfeiture of any other


                                 Page 19 of 20
Case 1:20-cr-00228-MHC-JKL    Document 41    Filed 07/28/20   Page 20 of 20




     property of the Defendant up to the value of the forfeitable property

     described above.
                                  A   __________________          BILL



                                      Fc~REPERSON




                                  BYUNG I. PAK
                                  UNITED STATES ATTORNEY
                                  /s/ John Russell Phillips
                                  JOHN RUSSELL PHILLIPS
                                  ASSISTANT UNITED STATES ATTORNEY
                                  GEORGIA BAR No. 576335

                                  /s/ Bernita B. Malloy
                                  BERNITA B. MALLOY
                                  ASSISTANT UNITED STATES ATTORNEY
                                  GEORGIA BAR No. 718905

                                  /s/ Michael I. Brown
600 U.S. COURTHOUSE               MICHAEL J. BROWN
75 TED TURNER DRIVE, SW           ASSISTANT UNITED STATES ATTORNEY
ATLANTA, GA 30303                 GEORGIA BAR No. 064437
(404) 581-6000




                              Page 206f 20


File and source

File
gov.uscourts.gand.279664.41.0.pdf
Size
700,044 bytes
SHA-256
f4d4fe9557c408a92b8defad3c268d7252df5784dfebaa01d182f7ceeaa72095
Our copy
gov.uscourts.gand.279664.41.0.pdf
Original
PACER (login required)
Back to top