Schansman v. Sberbank of Russia PJSC

CourtDistrict Court, S.D. New York
DecidedSeptember 30, 2021
Docket1:19-cv-02985
StatusUnknown

This text of Schansman v. Sberbank of Russia PJSC (Schansman v. Sberbank of Russia PJSC) is published on Counsel Stack Legal Research, covering District Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Schansman v. Sberbank of Russia PJSC, (S.D.N.Y. 2021).

Opinion

DOCUMENT ELECTRONICALLY FILED DOC#: UNITED STATES DISTRICT COURT □ ATE FILED: ber 30, 2¢ SOUTHERN DISTRICT OF NEW YORK ue Septem THOMAS SCHANSMAN, individually, as surviving Parent of QUINN LUCAS SCHANSMAN, and as legal guardian on behalf of X.S., a minor, and CATHARINA TEUNISSEN, individually, and as surviving Parent and personal representative of the ESTATE OF QUINN LUCAS SCHANSMAN, and NERISSA SCHANSMAN, individually, and as surviving Sibling of QUINN LUCAS SCHANSMAN, 19 CV 2985 (ALC) Plaintiffs, MEMORANDUM AND ORDER -against-

SBERBANK OF RUSSIA PJSC, THE WESTERN UNION COMPANY, WESTERN UNION FINANCIAL SERVICES, INC., MONEYGRAM INTERNATIONAL, INC., MONEYGRAM PAYMENT SYSTEMS, INC., and VTB BANK PJSC, Defendants

ANDREW L. CARTER, JR., District Judge: Plaintiffs bring this action under the Antiterrorism Act, 18 U.S.C. § 2331 et seg. (the “ATA”) on behalf of Quinn Lucas Schansman. Pending before the Court is Defendants’ motions to dismiss Plaintiffs’ Second Amended Complaint. (ECF Nos. 160, 165, 168.) For the following reasons, Defendants’ motions to dismiss are denied.

BACKGROUND According to the second amended complaint, which the Court assumes to be true for purposes of Defendants’ Rule 12(b)(6) motions, this action arises from the downing of a Malaysia Airlines Flight 17 (MH17) on July 17, 2014 by a terrorist group known as the Donetsk People’s Republic (“DPR”).1 298 passengers were killed when the DPR fired a missile at the civilian passenger plane traveling from Amsterdam to Kuala Lumpur, including Quinn Lucas Schansman, whose family, the Plaintiffs in this action, bring this lawsuit on his behalf. Second Am. Compl. ¶¶ 1-2, 73-75. The Defendants in this action are Russian State-owned Banks, Sberbank and VTB Bank. Additionally, The Western Union Company and MoneyGram International, Inc. are United States based company Defendants. Id. at ¶¶ 33, 40, 63-64.

The DPR is a terrorist group based on an ideology of Russian supremacy by creating a proto-state, Novorossiya, through the control of territory in Ukraine. Second Am. Compl. ¶ 88. Additionally, the DPR have carried out violent acts intended to affect government policy and intimidate civilians around the world. Id. at ¶¶ 98, 102. The basic tenet of Plaintiffs’ claims is that Defendants provided material support and financing to the DPR. Second Am. Compl. ¶ 79. In providing this material support, Plaintiffs allege that Defendants were aware of the DPR’s terrorist activities, as the DPR has openly, publicly, and repeatedly carried out terrorist attacks on civilians, and these attacks were widely reported and discussed by nearly every government across the world, media, and human rights organizations.

Second Am. Compl. ¶ 104. Plaintiffs’ cite articles from the New York Times, the Washington Post, The Independent, The Telegraph, and the Al-Jazeera America detailing the DPR, including attacks, their tactics, and profiling the DPR’s leadership. Id. at ¶¶ 104-106, 108, 110, 112.

1 The DPR’s leader, Igor Ivanovich Stelkov, took credit for the attack on the plane. Am. Compl. ¶ 77. In the months leading to the attack on MH17, Defendants had extensive operations in Ukraine, maintaining locations and providing global money transfer services. Second Am. Compl. ¶¶ 139-143. The DPR used Defendants’ services to raise money and advertised ways to donate money to accounts or bank cards associated with Defendants Sberbank and VTB Bank. Id. at ¶¶

143-150. Additionally, the DPR detailed ways to donate using the money transfer services of MoneyGram and Western Union. Id. The DPR utilized a small group of fundraisers, and the DPR detailed how the receipt of funds were confirmed by their leader, Igor Strelkov. Id. at ¶¶ 154-155. As to the use of the funds, the DPR relied on Defendants’ services to access funds that were essential for its procurement of weapons and ammunition and to acquire control of the territory from which the DPR launched the missile that brought down MH17. Id. at ¶ 159. Plaintiffs further allege that Defendants were aware that they were providing material support and financing to the DPR. Plaintiffs cite news outlets, Forbes, the New York Times, Reuters and the Kyiv Post as reporting the DPR’s funding scheme. Second Am. Compl. ¶¶ 162- 167. For instance, Forbes discussed Defendant Sberbank facilitating payments to Ukrainian

soldiers to assist Russian Separatists in East Ukraine; a Reuters article titled “Ukraine says investigating Russia’s Sberbank for financing terrorists;” and an April article by Kyiv post detailed the DPR’s call for funds as well as references to Sberbank and VTB Bank’s knowledge of the investigation initiated by Ukrainian authorities prior to the downing of MH17. Id.at ¶¶ 167-169. DPR fundraisers advertised and provided an explanation on how to wire U.S. dollars from abroad into Russian bank accounts like Sberbank and VTB Bank. Second Am. Compl. ¶ 177. These fundraisers also listed account holder and email address information for money transfers through Western Union and MoneyGram. Id. at ¶ 178. As to the funds received, the DPR published online detailed ledgers reflecting the funds that the DPR received using Defendants’ services, and the DPR also detailed how the funds were used to purchase equipment and weaponry “necessary for the DPR’s terrorist activities.” Id. at ¶¶ 179-180. Plaintiffs detail several fundraisers, including Save Donbass, the Center for New Russia, Veche, Rospisatel, World Crisis, Icorpus, Sevastopol, Essence of Time, and People’s Militia of

New Russia, that were used to solicit funds to provide lethal support directly to the DPR, specifically Igor Strelkov and Paul Gubarev (the self-declared people’s governor of the DPR). Additionally, the fundraisers provided reports of transfers and withdrawals from its accounts with Defendants Sberbank and VTB Bank and money transferred through Defendant Western Union. Additionally, many of the fundraisers advertised that transfers could be made through Defendants Western Union and Moneygram. Second Am. Compl. ¶¶ 105, 194-209, 210-292. Additionally, Plaintiffs detail Defendants’ support through Alexander Zhuchkovsky, who publicly boasted about raising millions of rubles for the DPR and then provided lethal weapons to Igor Strelkov. Second Am. Compl. ¶¶ 293, 296-305. Additionally, Zhuchkovsky indicated that transfers could be made to a specific Sberbank bank card or via Western Union, and Zhuchkovsky

solicited funds through transfers utilizing VTB Bank, Sberbank, Moneygram, and Western Union. Id. at ¶¶ 317, 318. Zhuchkovsky’s website indicates that he has raised approximately 89 Rubles, or $2.5 million U.S. dollars for the DPR during the first six months of 2014, prior to the attach on MH17. Id. at ¶¶ 321-326. Through the material support and financing to the DPR using Defendants’ services Plaintiffs allege that Defendants have knowingly provided this material support and financing to the DPR, and Defendants’ knowledge or deliberate indifference in providing this support constituted acts of international terrorism. Id. at ¶¶ 342-391. PROCEDURAL HISTORY Plaintiffs commenced this action on April 4, 2019. (ECF No. 1.) Plaintiffs filed a First Amended Complaint on October 8, 2019, and a Second Amended Complaint on October 5, 2020. (ECF Nos. 104, 156.) Defendants moved to dismiss the second amended complaint on November 2, 2020. (ECF Nos. 160, 165, 168.) Plaintiffs opposed the motion on November 30, 2020, and

Defendants replied on December 14, 2020. (ECF Nos. 172, 173, 174, 175, 176.) The Court considers the motions fully briefed. DISCUSSION I.

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