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United States v. Lewis

United States District Court, W.D. North Carolina, Asheville Division
Nov 28, 2022
1:21-CR-65 (W.D.N.C. Nov. 28, 2022)

Opinion

1:21-CR-65

11-28-2022

UNITED STATES OF AMERICA v. DUSTIN ADAM LEWIS

DENA J. KING UNITED STATES ATTORNEY ALEXIS SOLHEIM ASSISTANT UNITED STATES ATTORNEY NC State Bar number 46417


DENA J. KING

UNITED STATES ATTORNEY

ALEXIS SOLHEIM

ASSISTANT UNITED STATES ATTORNEY

NC State Bar number 46417

GOVERNMENT'S SENTENCING MEMORANDUM CONCERNING RESTITUTION

REDACTED

NOW COMES the United States of America, by and through Dena J. King, United States Attorney for the Western District of North Carolina, with a stipulation between the parties concerning restitution.

1. Request from the “[Redacted]” Series

The United States received another restitution request from attorney Deborah Bianco who represents the victim using pseudonym “[Redacted]” from a series of child pornography called “[Redacted]” Defendant possessed child pornography images of this victim. Defendant has agreed to a restitution order of $5,000 for this victim.

Attorney Bianco informs the undersigned that payments should be made to:

Deborah A. Bianco in trust for “[Redacted]”
P.O. Box 6503
Bellevue, Washington 98008

Attorney Bianco requests that checks include the case number, the pseudonym “[Redacted],” and

Defendant's name. Defense counsel has agreed to this request.

2. Request from the “[Redacted]” Series

The United States received a restitution request from attorney Amy Mathieu who represents the victim using pseudonym “[Redacted],” from a series of child pornography called “[Redacted].”

Defendant possessed child pornography images of this victim. The parties have agreed that Defendant will pay $3,000 in restitution towards this victim.

Attorney Mathieu informs the undersigned that payments should be made to:

Marsh Law Firm PLLC
ATTN: [Redacted]
PO Box 4668 #65135
New York, NY 10163-4668

Attorney Mathieu requests that checks include the case number and Defendant's name.

Defense counsel has agreed to this request.

3. Request from the “[Redacted]” Series

The United States received a restitution request from attorney Amy Mathieu who represents the victim using pseudonym “[Redacted],” from a series of child pornography called

“ [Redacted].” Defendant possessed child pornography images of this victim. The parties have agreed that Defendant will pay $3,000 in restitution towards this victim.

Attorney Mathieu informs the undersigned that payments should be made to:

Marsh Law Firm PLLC

ATTN: [Redacted]

PO Box 4668 #65135

New York, NY 10163-4668

Attorney Mathieu requests that checks include the case number and Defendant's name. Defense counsel has agreed to this request.

4. Request from the “[Redacted]” Series

The United States received a restitution request from attorney Carol Hepburn who represents the victim using pseudonym “,” from a series of child pornography called “[Redacted] .” Defendant possessed child pornography images of this victim. The parties have agreed that Defendant will pay $5,000 in restitution towards this victim.

Attorney Hepburn informs the undersigned that payments should be made to:

Carol L. Hepburn in trust for [Redacted] of the [Redacted] Series

PO Box 17718

Seattle, Washington 98127

Attorney Hepburn requests that checks be made to “Carol L. Hepburn in trust for [Redacted] of the [Redacted] series.” Defense counsel has agreed to this request.

5. Request from the “[Redacted]” Series

The United States received a restitution request from attorney Carol L. Hepburn who represents the victim using pseudonym “[Redacted],” from a series of child pornography called “[Redacted]” Defendant possessed child pornography images of this victim. The parties have agreed that Defendant will pay $6,000 in restitution towards this victim.

Attorney Hepburn informs the undersigned that payments should be made to:

Carol L. Hepburn in trust for [Redacted] of the [Redacted]Series

PO Box 17718

Seattle, Washington 98127

Attorney Hepburn requests that checks be made to “Carol L. Hepburn in trust for I of the I series.” Defense counsel has agreed to this request.

6. Request from the “ [Redacted] ” Series

The United States received a restitution request from attorney Carol L. Hepburn who represents the victim using pseudonym “[Redacted]” from a series of child pornography called “[Redacted]” Defendant possessed child pornography images of this victim. The parties have agreed that Defendant will pay $5,000 in restitution towards this victim.

Attorney Hepburn informs the undersigned that payments should be made to:

Carol L. Hepburn in trust for [Redacted] of the [Redacted] Series

PO Box 17718

Seattle, Washington 98127

Attorney Hepburn requests that checks be made to “Carol L. Hepburn in trust for [Redacted] of the [Redacted] series.” Defense counsel has agreed to this request.

7. Request from the “[Redacted]” Series

The United States received a restitution request from attorney Susanna L. Southworth who represents the victim using pseudonym “[Redacted]” from a series of child pornography called “ [Redacted].” Defendant possessed child pornography images of this victim. The parties have agreed that Defendant will pay $9,000 in restitution towards this victim.

Attorney Southworth informs the undersigned that payments should be made to:

Restore the Child in Trust for [Redacted]

Restore the Child, PLLC

2522 N. Proctor Street

Suite 85

Tacoma, Washington 98406

Attorney Southworth requests that checks be made to “Restore the Child in Trust for I [Redacted].”

Defense counsel has agreed to this request.

8. Request from the “[Redacted]” Series

The United States received a restitution request from attorney Carol L. Hepburn who represents the victim using pseudonym “[Redacted]” from a series of child pornography called “ [Redacted].” Defendant possessed child pornography images of this victim. The parties have agreed that Defendant will pay $3,000 in restitution towards this victim.

Attorney Hepburn informs the undersigned that payments should be made to:

Carol L. Hepburn in trust for [Redacted] of the [Redacted] Series

PO Box 17718

Seattle, Washington 98127

Attorney Hepburn requests that checks be made to “Carol L. Hepburn in trust for I of the series.” Defense counsel has agreed to this request.

9. Conclusion

For these reasons, the United States respectfully requests that the Court enter the above restitution orders for each victim. The following table summarizes the amounts:

Series - Victim Pseudonym

Settlement Amount

[Redacted]

$5,000

[Redacted]

$3,000

[Redacted]

$3,000

[Redacted]

$5,000

[Redacted]

$6,000

[Redacted]

$5,000

[Redacted]

$9,000

[Redacted]

$3,000

Total

$39,000


Summaries of

United States v. Lewis

United States District Court, W.D. North Carolina, Asheville Division
Nov 28, 2022
1:21-CR-65 (W.D.N.C. Nov. 28, 2022)
Case details for

United States v. Lewis

Case Details

Full title:UNITED STATES OF AMERICA v. DUSTIN ADAM LEWIS

Court:United States District Court, W.D. North Carolina, Asheville Division

Date published: Nov 28, 2022

Citations

1:21-CR-65 (W.D.N.C. Nov. 28, 2022)