- 11 McGREGOR W. SCOTT United States Attorney 22 ANDRE M. ESPINOZA KEVIN C. KHASIGIAN 33 Assistant U.S. Attorney 501 I Street, Suite 10-100 44 Sacramento, CA 95814 Telephone: (916) 554-2700 55 Attorneys for the United States 66 77 88 IN THE UNITED STATES DISTRICT COURT 99 EASTERN DISTRICT OF CALIFORNIA 1100 1111 UNITED STATES OF AMERICA, 2:19-CV-00485-JAM-DB 1122 Plaintiff, UNITED STATES’ REQUEST TO 1133 v. EXTEND THE DEADLINE TO SUBMIT A JOINT STATUS REPORT 1144 APPROXIMATELY $6,567,897.50 SEIZED FROM JANUARY 9, 2020 TO MARCH FROM CTBC BANK, ACCOUNT NUMBER 11, 2020 1155 3800191916, et al., 1166 Defendants. 1177 The United States submits the following Request to Extend the Deadline to file a Joint Status 1188 Report from January 9, 2020 to March 11, 2020. 1199 Introduction 2200 On March 18, 2019, the United States filed a civil forfeiture complaint in rem against more than 2211 sixty bank accounts, over $1.8 million in U.S. currency, prepaid flight hours with a private jet company, 2222 a luxury box with a professional sports team, and various items of jewelry (“defendant assets” or “In 2233 Rem Defendants”) connected to fraud and money laundering crimes in the Eastern District of California 2244 and other areas. As described below, the bank accounts are associated with DC Solar and its related 2255 investment funds, which the United States alleges are involved in, and contained proceeds of, a Ponzi 2266 scheme orchestrated through a tax equity investment fraud. All known potential claimants to the 2277 defendant assets were served in a manner consistent with Dusenbery v. United States, 534 U.S. 161, 168 11 government forfeiture site, www.forfeiture.gov, began on May 4, 2019, and ran for thirty consecutive 22 days, as required by Rule G(4)(a)(iv)(C) of Supplemental Rules for Admiralty or Maritime Claims and 33 Asset Forfeiture Actions. See Dkt. 4. A Declaration of Publication was filed on June 6, 2019, which set 44 forth, among other items, that publication on the government’s forfeiture website was complete on June 55 2, 2019. See Dkt. 9. 66 This case is related to four other cases filed in the Eastern District of California: two civil cases, 77 United States v. 725 Main Street, Martinez, California, et al., Case 2:19−CV−00247-JAM-DB and 88 United States v. 5383 Stonehurst Drive, Martinez, California, et al., Case 2:19-cv-00636-JAM-DB; and 99 two recently filed criminal cases, United States v. Ronald Roach, et al., 2:19-cr-00182-JAM and United 1100 States v. Robert Karmann, 2:19-cr-00222-JAM. A notice of related case was also filed this week in 1111 another criminal case involving the DC Solar fraud, United States v. Ryan Guidry, 2:20-cr-00003-KJM.1 1122 Good Cause 1133 The United States has provided notice to all potential claimants pursuant to law. The United 1144 States served copies of the complaint documents on all interested parties, including financial institutions, 1155 a professional sports franchise, a private jet operator, investors in the tax equity funds, and the LLCs and 1166 individuals listed as signors on the seized bank accounts. The United States specifically served copies 1177 of the complaint documents on the LLCs through their registered agent for service of process, as listed 1188 on the California Secretary of State’s website. Further, the government served copies of the complaint 1199 on the principals of DC Solar, Jeffrey and Paulette Carpoff. Lastly, the government has provided notice 2200 of this action to any entities or individuals that may have a security interest in the accounts, such as a 2211 certificate of deposit required as part of a larger financial loan package extended to DC Solar. 2222 Five parties have so far appeared in the case. First, the principals of DC Solar and the LLCs 2233 associated with many of the In Rem Defendants, Jeff and Paulette Carpoff, filed claims as to each of the 2244 eighty-seven In Rem Defendants. See Dkt. 6-7. Second, NetJets, through their wholly-owned 2255 2266 1 The Securities and Exchange Commission (“SEC”) has filed a notice of related cases to relate this case (and others) with 2277 their civil enforcement against criminal defendants Ronald Roach and Joe Bayliss, SEC v. Bayliss, et al., Case No. 2:19-CV- 11 subsidiaries,2 filed claims concerning the prepaid flight shares purchased by the Carpoffs with alleged 22 fraud proceeds. Dkt. 12-14. Third, East West Bank and Solar Eclipse Investment Fund XXXV, LLC 33 filed claims to In Rem Defendant Approximately $9,004,531.62, which was seized from the Investment 44 Fund’s bank account during the government’s law enforcement operation on December 18, 2018. Dkt. 55 15-16. East West Bank states that it was an investor in Solar Eclipse Investment Fund XXXV, LLC. 66 Dkt. 15. The Solar Eclipse Fund and East West Bank filed answers. 77 No other party has filed an answer in this case. However, based on the claimants’ requests for 88 additional time to review the allegations—in the civil complaint as well as the recently filed criminal 99 informations and plea agreements—and potential privilege issues and other defenses, and given the 1100 lengthy facts and complicated issues in this case, the United States has agreed to their requests for more 1111 time. The answers are currently due on January 15, 2019. 1122 Furthermore, several potential tax equity investor-victims and financial institutions have 1133 requested extensions of time to file claims in this case. For similar reasons underlying the agreement to 1144 extend the time to file an answer, the United States granted each request for an extension of time and 1155 those entities and institutions currently have until January 15, 2020 to file a claim in the case. 1166 To allow the above individuals, entities, and investors sufficient time to file claims and/or 1177 answers, , the United States seeks to continue the deadline to file a Joint Status Report from January 9, 1188 2020 to March 11, 2020 (or to another date the Court deems appropriate). 1199 Accordingly, there is good cause to extend the deadline to file a joint status report in this case 2200 from January 9, 2020 to March 11, 2020, or to a date the Court deems appropriate. 2211 2222 Dated: 1/8/2020 McGREGOR W. SCOTT United States Attorney 2233 2244 /s/ Kevin C. Khasigian 2255 ANDRE M. ESPINOZA KEVIN C. KHASIGIAN 2266 Assistant U.S. Attorney 2277 11 ORDER 22 Pursuant to the United States’ request and good cause appearing, the Court makes the following 33 order: 44 The deadline to file a Joint Status Report currently due on January 9, 2020, is extended to March 55 11, 2020. 66 IT IS SO ORDERED. 77 88 Dated: 1/8/2020 /s/ John A. Mendez_________ JOHN A. MENDEZ 99 United States District Court Judge 1100 1111 1122 1133 1144 1155 1166 1177 1188 1199 2200 2211 2222 2233 2244 2255 2266 2277
Document Info
Docket Number: 2:19-cv-00485
Filed Date: 1/9/2020
Precedential Status: Precedential
Modified Date: 6/19/2024