United States v. Bertoli

854 F. Supp. 975, 1994 U.S. Dist. LEXIS 11633, 1994 WL 194317
CourtDistrict Court, D. New Jersey
DecidedMarch 30, 1994
DocketCr. 89-218
StatusPublished
Cited by36 cases

This text of 854 F. Supp. 975 (United States v. Bertoli) is published on Counsel Stack Legal Research, covering District Court, D. New Jersey primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Bertoli, 854 F. Supp. 975, 1994 U.S. Dist. LEXIS 11633, 1994 WL 194317 (D.N.J. 1994).

Opinion

TABLE OF CONTENTS

Facts.991

Discussion.1009

A. Renewed Motion to Dismiss Counts One and Two of the Redacted Second Superseding Indictment.1009

1. The Decision in Reves.1009

2. Statute of Limitations.1013

3. Charges of Frontrunning.1014

B. Objections to the First Set of Cayman Islands Depositions Testimony and Documents.1014

1. Bertoli’s Objections to the First Set of Cayman Islands Depositions In Their Entirety.1017

2. Bertoli’s Objections to Specific Testimony From the First Set of Cayman Islands Depositions.1021

a. Deposition of Coleman.1022

b. Deposition of Rodney Bond.1023

c. Deposition of Gillooly.1025

d. Deposition of Duggan.1025

e. Deposition of Sheree Ebanks.1026

f. Depositions of Chan-A-Sue and Bechard.1026

g. Deposition of Meyeroff.1026

3. Government’s Objections to Specific Testimony From the First Set of Cayman Islands Depositions.1026

a. Deposition of Coleman.1026

b. Deposition of Rodney Bond.1027

c. Deposition of Duggan.1027

*989 d. Deposition of Lundie .1027

4. Bertoli’s Objections to Documents From the First Set of Cayman Islands Depositions .1027

a. Documents of Greenshields.1029

b. Documents from the Coleman Deposition.1032

c. Documents of Euro Bank.1033

5. Government’s Objections to Documents from the First Set of Cayman Islands Depositions.1034

Objections to the Second Set of Cayman Islands Depositions Testimony and Documents.1035

1. Bertoli’s Objections to Specific Testimony From the Second Set of Cayman Islands Depositions — Deposition of Ebanks .1035

2. Government’s Objections to Specific Testimony From the Second Set of Cayman Islands Depositions. 1036

a. Deposition of Ebanks.1036

b. Deposition of Burgess .1036

c. Deposition of Rodney Bond.1036

Pre-Trial and Trial Motions and Objections by Bertoli.1036 D.

1. Motion to Sequester Government Witnesses .1036

2. Motion to Suppress Use of Cayman Islands Documents By the Government Pursuant to 18 U.S.C. § 3505 . 1038

3. Motion to Turn Over Personnel Files of Government Witnesses and Agents.. 1039

4. Motion to Suppress or, in the Alternative, to Obtain Letters of Request to Take the Testimony of Euro Bank Personnel Ebanks and Burgess.1041

5. Objection to Reading of Redacted Second Superseding Indictment to Jury.. 1042

6. Motion to Question Eisenberg Regarding Charges Pending Against Him When He Pleaded Guilty.1044

7. Motions for a Mistrial.1047

8. Objection to Admission of Cayman Islands Documents After Beginning of Trial.1049

9. Objections to the Government’s Use of Summary Charts and Demonstrative

.1050 a. Summary Charts.

.1053 b. Demonstrative Charts.

.1054 c. Admission of Charts.

.1056 10. Objections to Evidence of Other Acts: Rule 404(b).

.1060 a. The 1977 Suit by Executive Securities Against Bertoli and Bertoli’s Filing for Bankruptcy.

.1063 b. The SEC Investigation and the SEC Action.

.1064 e. The SEC’s 1979 Bar of Bertoli from Association with Broker-Dealers.

.1065 d. Other 404(b) Evidence.

.1065 i. Unindicted Stock Manipulation Schemes.

.1066 ii. The Government’s Chart Evidence.

.1067 iii. Berco Trust Financial Statements and Corporate Records.

.1067 iv. The Swiss Bank Documents.

.1067 11. Objection to Special Verdict Sheet.

.1069 12. Objection to Hard Copy of Jury Charges and Hard Copy of Trial Transcript Being Submitted to Deliberating Jury.

.1072 13. Objection to Submission of Jury Books to Jury.

.1073 14. Objection to Subsequent Charges to Jury.

.1076 Pre-Trial and Trial Motions and Objections by Government. E.

.1076 1. Motion to Preclude Bertoli From Presenting a Defense Based on Selective or Vindictive Prosecution or Governmental Misconduct.

.1080 2. Motion to Quash Bertoli’s Subpoena of Government’s Case Agent.

. 1087 3. Motion to Preclude Bertoli From Presenting Any Evidence That Charges Were Dismissed in This Case.

4. Motion to Preclude Bertoli From Introducing Evidence That Certain Government Witnesses Used Narcotics or Alcohol. tOO o

Post-Trial Proceedings. 05 00 o

1089 1. Bertoli’s Motions for a New Trial Based on Allegations of Juror Misconduct During Trial.

*990 a. Jury Misconduct as a Basis for Granting a New Trial .1094

b. Right of Defendants to Be Present During Court’s Interview of Juror for Misconduct.1100

i. Fifth Amendment Right to be Present.1100

ii. Right to be Present Pursuant to Rule 43.1101

iii. Right to Have Counsel Present.1104

c. The Riepe Letter.1104

2. Bertoli’s Motion for New Trial Based on Allegations of Juror Misconduct During Voir Dire.1108

a. Voir Dire.1108

b. The Lawsuit against Juror Six.1109

c. Motion for a New Trial Based on Answers to Jury Voir Dire.1110

3. Bertoli’s Motion to Recuse Court from Sentencing.1116

a. Background.1116

b. 28 U.S.C. § 455(a).1117

c. Bertoli’s Plan to Force Recusal.1119

d. Statements and Rulings of the Court.1120

4. Sentencing.1125

a. Facts.1126

i. Bertoli’s Activities at Executive Securities.1126

ii. The Stock Manipulation Schemes.1128

iii. Obstruction of Justice.1130

b. Sentencing Computation.1137

i. Applicable Guidelines.1137

ii. Grouping the Offenses.1138

iii. Calculating the Offense Level.1144

Group One.1144

Sections 2J1.2 and 2X3.1 .1144

Section 2F1.1.1146

Sections 2J1.7 and 3B1.1 .1149

Group Two.1151

Group Three.1151

The Total Offense Level.1152

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Bluebook (online)
854 F. Supp. 975, 1994 U.S. Dist. LEXIS 11633, 1994 WL 194317, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-bertoli-njd-1994.