United States Ex Rel. DRC, Inc. v. Custer Battles, LLC

376 F. Supp. 2d 617, 2005 U.S. Dist. LEXIS 13743, 2005 WL 1653612
CourtDistrict Court, E.D. Virginia
DecidedJuly 8, 2005
Docket1:04CV199
StatusPublished
Cited by6 cases

This text of 376 F. Supp. 2d 617 (United States Ex Rel. DRC, Inc. v. Custer Battles, LLC) is published on Counsel Stack Legal Research, covering District Court, E.D. Virginia primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States Ex Rel. DRC, Inc. v. Custer Battles, LLC, 376 F. Supp. 2d 617, 2005 U.S. Dist. LEXIS 13743, 2005 WL 1653612 (E.D. Va. 2005).

Opinion

MEMORANDUM OPINION

ELLIS, District Judge.

This qui tarn False Claims Act (FCA) 1 case involves allegations that defendants submitted tens of millions of dollars in false claims to the Coalition Provisional Authority (CPA), the agency established in Iraq in 2003 to administer and rebuild Iraq during the transition from the overthrown Hussein regime to the new democratic government of Iraq. The novel, threshold question presented is whether the FCA applies to claims submitted to the CPA.

I* 2

Relator DRC, Inc. (DRC) is an Alabama corporation with its principal place of busi *619 ness in Mobile, Alabama. DRC provides emergency construction, logistics, security, and life support services in disaster areas and war zones. DRC collaborated with defendant Custer Battles, LLC (Custer Battles) in Iraq, either as a subcontractor or joint venturer, 3 in fulfillment of contracts performed for the CPA. Relator Robert Isakson is the managing director of DRC and relator William D. Baldwin was a Custer Battles employee in Iraq.

Defendant Custer Battles, a Delaware Limited Liability Company, headquartered in Fairfax, Virginia, was formed in 1989 by defendants Scott Custer and Michael Battles to provide support services to the United States and other governments engaged in wars and conflicts around the globe. Defendants Secure Global Distribution, Mideast Leasing, Inc., 4 and Custer Battles Levant are allegedly related entities of Custer Battles, either as wholly-owned subsidiaries or through common ownership. Defendants Custer Battles, Scott Custer, Michael Battles, Secure Global Distribution, Mideast Leasing, and Custer Battles Levant have filed joint motions and pleadings in this case and are hereinafter referred to as “Custer Battles Defendants.” Defendant Joseph Morris was a manager for Custer Battles in Iraq and has filed separate motions and pleadings. Defendants Laru, Ltd., Muhammed Issam Abu Darwish, a citizen of Lebanon and Iraq, and Murtaza Lakhani, a citizen of Pakistan, are also alleged to have conspired in the purported fraud, but have not yet been served.

According to the complaint, Custer Battles and the other defendants conspired to overbill the CPA for tens of millions of dollars in services and facilities in the fulfillment of two CPA contracts awarded to Custer Battles, the first of which was for the provision of security, housing, and related facilities and services at the Baghdad International Airport (BIAP), including armed security at the main gate and perimeter of the airport and a team of Transportation Safety Administration — approved security screeners. The second contract was for security, construction, and operational services to support the Iraqi Currency Exchange (ICE), which was charged with the creation of a new Iraqi currency to replace the “old” Iraqi dinars (bearing the face of Saddam Hussein) with “new” Iraqi dinars. If the allegations in the complaint are true, the fraud was accomplished, in the case of the BIAP contract, by contracting for services and facilities defendants never provided to the CPA, and in the case of the ICE contract, by using “shell companies” to create the appearance of additional costs and overhead, thus inflating the price of those products and services charged on a cost-plus basis to the CPA. Because the threshold issue is whether the FCA applies to these claims presented to the CPA, only the facts relevant to this issue are recounted here, and not the details of the alleged fraud.

A. Creation of the CPA

The parties understandably devote much of their argument to the nature and gene *620 sis of the CPA, for if it were an American agency, then the FCA question would be largely resolved. Yet, in the end, the parties’ efforts in this regard are largely unavailing inasmuch as the essential nature of the CPA ' is shrouded with ambiguity. Even so, the effort has some value insofar as it helps cast light on the parties’ other arguments on the applicability of the FCA.

To begin, the CPA’s origins are difficult to pin down, as there is no formal document — whether statute, United Nations Security Council resolution, or other organic document — 'that plainly establishes the CPA or provides for its formation. When the United States and its Coalition partners first occupied much of Iraq in late March 2003, responsibility for providing humanitarian assistance and overseeing the economic reconstruction of Iraq initially fell to the Office of Reconstruction and Humanitarian Assistance (ORHA), an-organization established by President George W. Bush and placed under the operational control of General Tommy R. Franks, who was then both the Commander of the Coalition Forces and the Commander of U.S. Central Command. Many of ORHA’s duties would eventually become the CPA’s responsibility.

The earliest public reference to the CPA appears in General Franks’ April 16, 2003 Freedom Message to the Iraqi People. In that message, General Franks, in his capacity as Commander of the Coalition Forces, announced the formation of the CPA as the body that would exercise the temporary powers of government in Iraq. In his words,

Our stay in Iraq will be temporary, no longer than it takes to eliminate the threat posed by Saddam Hussein’s weapons of mass destruction, and to establish stability and help the Iraqis form a functioning government that respects the rule of law and reflects the will, interests, and rights of the people of Iraq. Meanwhile, it is essential that Iraq have an authority to protect lives and property, and expedite the delivery of humanitarian assistance to those who need it. Therefore, I am creating the Coalition Provisional Authority to exercise powers of government temporarily, .and as necessary, especially to provide security, to allow the delivery of humanitarian aid and to eliminate the weapons of mass destruction. 5

This proclamation was not followed by any formal document or order establishing the CPA or defining its legal responsibilities.

The public record contains no other significant reference to the CPA until May 8, 2003, when the United States and the United Kingdom presented a joint letter to the United Nations Security Council announcing the creation of the CPA. In that letter, the United States and the United Kingdom stated that they “and Coalition partners, acting under existing command and control arrangements through the Commander of Coalition Forces have created the Coalition Provisional Authority, which includes the Office of Reconstruction and Humanitarian Assistance.” 6 . According to the letter, the purpose of the CPA was “to exercise powers of government temporarily” and “to provide security, to allow the delivery of humanitarian aid, and to eliminate weapons of mass destruction.” Id.

While the United Nations considered its response to this letter, President Bush, on *621 May 9, 2003, appointed Ambassador L.

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Bluebook (online)
376 F. Supp. 2d 617, 2005 U.S. Dist. LEXIS 13743, 2005 WL 1653612, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-ex-rel-drc-inc-v-custer-battles-llc-vaed-2005.