United States v. Frantz Pierre

825 F.3d 1183, 117 A.F.T.R.2d (RIA) 2081, 2016 U.S. App. LEXIS 10705, 2016 WL 3254027
CourtCourt of Appeals for the Eleventh Circuit
DecidedJune 14, 2016
Docket14-10589
StatusPublished
Cited by54 cases

This text of 825 F.3d 1183 (United States v. Frantz Pierre) is published on Counsel Stack Legal Research, covering Court of Appeals for the Eleventh Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Frantz Pierre, 825 F.3d 1183, 117 A.F.T.R.2d (RIA) 2081, 2016 U.S. App. LEXIS 10705, 2016 WL 3254027 (11th Cir. 2016).

Opinion

DUBINA, Circuit Judge:

Appellants, Frantz Pierre (“Frantz”), Terry Pierre (“Terry”), and Christmanie Bissainthe (“Chris”), appeal their judgments of conviction and sentences for various charges that arose out of a scheme in which the appellants established a sham tax preparation business entitled “TaxPro-fessors” to file fraudulent income tax returns. The majority of the fraudulent tax returns contained the names of Florida prison inmates and caused the Internal Revenue Service (“IRS”) to issue approximately $1.9 million in tax refunds. These tax refunds were paid to TaxProfessors’ debit cards that the appellants used at automatic teller machines (“ATMs”) to obtain cash and to purchase various items. Following convictions and sentences, the appellants timely appealed. After reading the parties’ briefs, reviewing the record, and having the benefit of oral argument, we affirm the appellants’ convictions and sentences.

I. BACKGROUND

A. Facts

The government presented the following evidence at trial. Detective Craig Catlin, a North Miami Beach Police Department officer in the Street Crimes Gang Unit, testified that on June 1, 2010, while driving an unmarked police vehicle, he approached a white Cadillac with dark-tinted windows. He was unable to see inside the car and, based on his experience, he was certain that the window tinting was well below the standards permitted by Florida law. He also noticed that the car had a temporary paper tag that he discovered was registered to Frantz Pierre. Detective Catlin knew that the Pierre family owned a body shop that authorities suspected fraudulently issued temporary vehicle tags. Based on probable cause that the driver was violating Florida law by driving a vehicle with illegally tinted windows, Detective Catlin requested a police officer in a marked vehicle to execute a traffic stop because Detective Catlin did not want his unmarked vehicle identified.

Detective George Festa testified that he responded to the call from Detective Catlin to effectuate the traffic stop. When the driver of the Cadillac stopped the car, *1189 Detective Festa asked all the occupants to exit the vehicle. Terry exited from the front passenger side door, his wife exited from the driver’s side, and another female exited from the backseat with her child. Detective Festa, in the course of his normal traffic stop procedures, asked if he could search the car and whether there were drugs or guns in the vehicle. Terry responded that Detective Festa could search the car. Upon conducting the search, Detective Festa saw cards wrapped in paper in the center console by the cup holder. Detective Festa noticed that each piece of paper that was wrapped around the cards had a dollar value on it. When asked about the cards, Terry responded that they belonged to a friend, and Detective Festa could take them. Detective Festa observed that each card was a debit card with the name “TaxProfes-sors” imprinted on the cards. Detective Festa did not issue any citation to the driver because she was not the owner of the vehicle.

After receiving the debit cards, that were later identified as prepaid debit cards issued by PayCard USA to TaxProfessors, Detective Catlin began a criminal investigation. He obtained the listed business address for TaxProfessors and noticed that it was incorporated in 2010 by Venus Hi-ghsmith, an acquaintance of Frantz’s wife. However, Detective Catlin later discovered that someone used Venus Highsmith’s name to incorporate TaxProfessors — she herself did not incorporate the sham business. The official corporate address for the business was in reality an address for a bakery establishment. Chris signed a lease for TaxProfessors in Miramar Executive Center but did not conduct any business there. Frantz leased a second location in Miramar Executive Center for AlterEgo Clothing, another sham business. Chris was listed as the emergency contact person on the lease documentation for AlterE-go Clothing. The prepaid debit cards at issue were mailed to the AlterEgo Clothing address.

After the traffic stop and a preliminary investigation, officers obtained a search warrant for Frantz’s home in Parkland, Florida. Frantz was not present at the time of the search, but his wife, Terry, and several other adults and children were present. During the execution of the search warrant, an officer observed someone toss a large item from a second floor window. The large item was a laptop computer. Officers searched Terry’s bedroom and found papers with social security numbers (“SSNs”), names, and notations regarding bank routing numbers, tax information, and debit card balances. They also discovered two thumb drives and a Turbo Tax program, the same program used to file the TaxProfessors returns.

Douglas Meli worked at PayCard USA during the applicable time period and explained to the jury the prepaid debit card program. He stated that the Pay-Card is a reloadable prepaid debit card with a unique account number, but that all the cards have a routing number for Palm Desert National Bank in California. The cards are not embossed with an individual’s name but when they issue cards in bulk, they put the purchasing company’s name on the front of the cards. In this ease, the name “TaxProfessors” was imprinted on the cards. To register and activate the cards, he testified that the purchasing company supplies identity information (“identifiers”), including a name, date of birth (“DOB”), SSN, and address. PayCard then validates the identity information and only three of the four identifiers have to match for the verification system to activate the card and allow money to be loaded onto the card. The cards can be loaded with funds either by direct deposit or by tax refunds. Once the cards are funded, they *1190 can be used by anyone who possesses them to withdraw money at an ATM and to make purchases.

Marichelle Henry (“Henry”) testified that she was employed with the Florida Department of Children and Families as a child protective investigator and had access to personal identifying information through a state database. Chris asked Henry if she would provide SSNs from the database to her for a price, and Henry refused. However, after a second request, Henry capitulated. Chris provided a printout from the Florida Department of Corrections website that contained a list of inmates, and, after accessing the database twice, Henry found the SSNs for approximately 25 people whose names were on the list. Chris paid Henry $8,000 for the SSNs and gave her a prepaid debit card with a personal identification number (“PIN”) so she could withdraw money from the card.

The government also presented testimony from five former inmates who stated that they did not know the appellants, did not authorize TaxProfessors to submit tax returns for them, and did not sign tax returns for 2009 because they were incarcerated. These -witnesses identified 2009 tax returns that contained, their personal identifying information on them. The government introduced surveillance photographs, video recordings, and documents from Bank of America, Wells Fargo Bank, and Publix supermarkets of ATM withdrawals and/or money order purchases as well as point of sale transactions made using the TaxProfessors debit cards. It further introduced spreadsheets that contained cardholder information, balances, and transactions history for the TaxPro-fessors debit cards in question.

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825 F.3d 1183, 117 A.F.T.R.2d (RIA) 2081, 2016 U.S. App. LEXIS 10705, 2016 WL 3254027, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-frantz-pierre-ca11-2016.