Opinion
NO. CV 06-1623 ABC(CTx)
09-14-2011
UNITED STATES OF AMERICA, Plaintiff, v. $131,132.00 IN U.S. CURRENCY, Defendant. SCOTT FEIL, Claimant.
ANDRÉ BIROTTE JR. United States Attorney ROBERT E. DUGDALE United States Attorney Chief, Criminal Division STEVEN R. WELK Assistant United States Attorney Chief, Asset Forfeiture Section P. GREG PARHAM Assistant United States Attorney Asset Forfeiture Section Attorneys for Plaintiff United States of America PAUL L. GABBERT Attorney for Claimant SCOTT FEIL
ANDRÉ BIROTTE JR.
United States Attorney
ROBERT E. DUGDALE
Assistant United States Attorney
Chief, Criminal Division
STEVEN R. WELK
Assistant United States Attorney
Chief, Asset Forfeiture Section
P. GREG PARHAM
California Bar No. 140310
Assistant United States Attorney
Asset Forfeiture Section
Federal Courthouse, 14th Floor
312 North Spring Street
Los Angeles, California 90012
Telephone: (213) 894-6528
Facsimile: (213) 894-7177
E-mail: Greg.Parham@usdoj.gov
Attorneys for Plaintiff
United States of America
[PROPOSED]
CONSENT JUDGMENT OF
FORFEITURE
This action was filed on March 16, 2006. Notice was given and published in accordance with law. Claimant Scott Feil ("claimant") filed a verified claim on April 12, 2006 and an answer on April 21, 2006. No other statements of interest or answers have been filed, and the time for filing such statements of interest and answers has expired. Plaintiff and claimant, from whom the $131,132.00 in U.S. currency ("defendant currency") was seized, have reached an agreement that is dispositive of the action. The parties hereby request that the Court enter this Consent Judgment of Forfeiture.
This civil forfeiture case has been stayed since September 10, 2007, pending the resolution of a criminal case involving claimant Scott Feil, entitled United States v. Scott Eric Feil, et al., CR No. 09-00863 JSW, filed in the Northern District of California. On or about September 1, 2011, claimant entered into a plea agreement with the government in the criminal case. As part of his plea agreement, claimant agreed to forfeit the defendant currency named in this action.
WHEREFORE, IT IS ORDERED, ADJUDGED AND DECREED:
1. This Court has jurisdiction over the parties and the subject matter of this action.
2. Notice of this action has been given in accordance with law. All potential claimants to the defendant currency other than claimant are deemed to have admitted the allegations of the Complaint. The allegations set out in the Complaint are sufficient to establish a basis for forfeiture.
3. The United States of America shall have judgment as to the entirety of the defendant currency, plus all interest earned by the government on the full amount of the
defendant currency, and no other person or entity shall have any right, title or interest therein. The United States Marshals Service is ordered to dispose of said assets in accordance with law.
4. Claimant hereby releases the United States of America, its agencies, agents, and officers, including employees and agents of the Drug Enforcement Administration, from any and all claims, actions or liabilities arising out of or related to this action, including, without limitation, any claim for attorney's fees, costs or interest which may be asserted on behalf of the claimant, whether pursuant to 28 U.S.C. § 2465 or otherwise.
5. The court finds that there was reasonable cause for the seizure of the defendant currency and institution of these proceedings. This judgment shall be construed as a certificate of reasonable cause pursuant to 28 U.S.C. § 2465.
6. The Court retains jurisdiction over this case and the parties hereto to effectuate the terms of this Consent Judgment.
THE HONORABLE AUDREY B. COLLINS
UNITED STATES DISTRICT JUDGE
Approved as to form and content:
ANDRÉ BIROTTE JR.
United States Attorney
ROBERT E. DUGDALE
United States Attorney
Chief, Criminal Division
STEVEN R. WELK
Assistant United States Attorney Chief, Asset Forfeiture Section
P. GREG PARHAM
Assistant United States Attorney
Asset Forfeiture Section
Attorneys for Plaintiff
United States of America
PAUL L. GABBERT
Attorney for Claimant
SCOTT FEIL