United States v. Finn

919 F. Supp. 1305, 1995 U.S. Dist. LEXIS 19795, 1995 WL 783305
CourtDistrict Court, D. Minnesota
DecidedOctober 12, 1995
DocketCrim. 5-95-12(01) to 5-95-12(03)
StatusPublished
Cited by20 cases

This text of 919 F. Supp. 1305 (United States v. Finn) is published on Counsel Stack Legal Research, covering District Court, D. Minnesota primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Finn, 919 F. Supp. 1305, 1995 U.S. Dist. LEXIS 19795, 1995 WL 783305 (mnd 1995).

Opinion

ORDER AND REPORT AND RECOMMENDATION

ERICKSON, United States Magistrate Judge.

I.Introduction

This matter came before the undersigned United States Magistrate Judge pursuant to a general assignment, made in accordance with the provisions of Title 28 U.S.C. § 636(b)(1)(A) and (B), upon the following pretrial Motions of the Defendants: 1

1. The Motion of the Defendants Harold “Skip” Finn (“Finn”) and Daniel Brown (“Brown”) that the government agents retain their rough notes; 2
2. The Motion of Finn and Brown to compel the production of Sentencing Guidelines information;
3. The Motion of Finn and Brown for the disclosure of Jencks Act materials; 3
4. The Motion of Finn and Brown for the disclosure of Rule 404(b) evidence; 4
5. The Motion of Finn and Brown for discovery and inspection, and the Motion of the Defendant Alfred “Tig” Pemberton
*1316 (“Pemberton”) and Brown for the disclosure of government witnesses; 5
6. The Motion of Finn and Brown for the disclosure of evidence favorable to the respective Defendant; 6
7. The Motion of Finn for the disclosure of post-conspiracy statements of co-Defendants;
8. The Defendants’ Motion for a Bill of Particulars;
9. The Motion of Finn and Brown to compel the immediate disclosure of expert witness summaries; 7
10. The Motion of Finn and Brown for the disclosure of Grand Jury instructions, minutes and transcript, or for an in camera review of the same;
11. The Defendants’ Motion to dismiss and/or strike all references to actions to defraud the State of Minnesota of sales tax;
12. The Motion of the Defendants Pem-berton and Brown for severance and for separate trials;
13. The Motion of Pemberton to bifurcate the forfeiture proceedings; 8
14. The Motion of Pemberton for leave to issue Rule 17(c) subpoenas without a particularized showing to the Court;
*1317 15. The Motion of Brown to affirm or deny the Government’s use of electronic surveillance; 9
16. The Defendants’ Motion for the suppression of physical evidence and statements;
17. The Defendants’ Motion to dismiss the indictment for want of subject matter jurisdiction;
18. The Motion of Finn and Pemberton to dismiss Counts 2 through 9 and 26;
19. The Motion of Finn and Pemberton to dismiss Counts 10,11,13 and 14;
20. The Motion of Finn and Pemberton to dismiss Count 12;
21. The Motion of Finn to dismiss Counts 15 through 19; and the Motion of Pember-ton to dismiss Count 19; and
22. The Motion of Finn and Brown to dismiss Counts 21 and 22, and the Motion of Pemberton to dismiss Counts 20 through 22. 10

A Hearing on the Motions was conducted on August 80, 1995, at which time Finn appeared by Douglas A. Kelley and Steven E. Wolter, Esqs.; Pemberton appeared by Bruce H. Hanley, Esq.; Brown appeared by Kevin J. Short, Esq.; and the Government appeared by Paul A. Murphy and Michael W. Ward, Assistant United States Attorneys.

As to the Motions which remained for resolution at the close of the Hearing in this matter, we either deny the Motions or we recommend that they be denied.

II. Findings of Fact

By a 26-Count Indictment that was filed on June 7, 1995, the Defendants are charged with participating in a conspiracy to steal and misapply money, including Federal funds, belonging to the Leech Lake Band of the Minnesota Chippewa Indians (“Leech Lake Band”), in violation of Title 18 U.S.C. § 371. 11 *1318 The Defendants are further accused of using the mails, and Finn and Pemberton are each accused of having engaged in money laundering, in furtherance of that conspiracy. Moreover, all of the Defendants are accused of impeding an investigation that was then being conducted by the United States Department of the Interior.

Accordingly, in addition to one Count of conspiracy, Finn has been charged with three Counts of mail fraud, in violation of Title 18 U.S.C. §§ 1341, 1346 and 2; with nine Counts of embezzlement and theft from an Indian Tribal Organization (“ITO”), in violation of Title 18 U.S.C. § 1163; with four Counts of theft from a program that has received Federal funds, in violation of Title 18 U.S.C. § 666; with one Count of bribery involving a program that has obtained Federal funds, in violation of Title 18 U.S.C. §§ 666 and 2; with five Counts of money laundering, in violation of Title 18 U.S.C. § 1957; and with one Count of obstructing the due administration of justice by a Federal Grand Jury, in violation of Title 18 U.S.C. § 1503.

Along with one Count of conspiracy, Pem-berton has been charged with three Counts of mail fraud, in violation of Title 18 U.S.C. §§ 1341

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919 F. Supp. 1305, 1995 U.S. Dist. LEXIS 19795, 1995 WL 783305, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-finn-mnd-1995.