Federal

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Titlesort descending Summary
U.S. v. Apollo Energies, Inc.


Appellants, Apollo Energies, Inc. and Dale Walker, were charged with violating the Migratory Bird Treaty Act after an agent with the USFWS discovered dead migratory birds lodged in each appellant's "heater-treater," a piece of equipment used in the course of appellants' Kansas oil drilling businesses, on several occasions. At trial, both Apollo and Walker were convicted of  misdemeanor violations for "taking" or "possessing" migratory birds. On appeal, Apollo and Walker contested that (1) the MBTA is not a strict liability crime or, (2) if it is a strict liability crime, the MBTA is unconstitutional as applied to their conduct. Bound by a previous holding that found misdemeanor violations of the MBTA are strict liability crimes, the court concluded that the MBTA includes no mens rea requirement. As to Appellants' second contention challenging the constitutionality of the Act, the court concluded that while the Act is not unconstitutionally vague, "the MBTA requires a defendant to proximately cause the statute's violation for the statute to pass constitutional muster.

U.S. v. Atkinson


Melville O'Neal Atkinson was convicted of twenty-one felony violations of the Lacey Act for his role in organizing and guiding several illegal hunting expeditions.  The court found sufficient evidence to sustain his conviction based on interstate commerce where, at the end of each illegal hunt, defendant arranged or assisted in arranging to ship deer carcasses to the hunters' homes outside the state. 

U.S. v. Bengis


After two applications to seek compensation for South Africa were denied, the United States appealed the two orders and the 2nd Circuit held that South Africa (1) had a property interest in rock lobsters unlawfully harvested from its waters and (2) was a victim under the MVRA and VWPA. The 2nd Circuit therefore held that restitution was owed to South Africa and the case was remanded for the district court to calculate restitution.

U.S. v. Big Eagle


On November 23, 1987, defendant, John Terrence Big Eagle, filed a motion to dismiss the indictment in this action on the grounds that this Court lacks subject matter jurisdiction. The indictment charges the defendant with violating the Lacey Act prohibitions against transporting, selling, or acquiring fish taken or possessed in violation of state law or Indian tribal law.  The court held that the fishing regulations of the Lower Bule Sioux Tribe were applicable to defendant, a Native American of another tribe, and that this subjected him to prosecution under the Lacey Act.

U.S. v. Braddock


Defendant-appellants appealed their convictions following guilty pleas to offenses relating to illegal cockfighting and gambling activities. On appeal, they challenged the denial of their motion to dismiss for selective prosecution or, in the alternative, for discovery in support of their selective prosecution claim. In particular, appellants contend that district court should have dismissed the indictment or granted leave to obtain discovery because they, as Caucasians, were prosecuted federally, while two Hispanic co-conspirators and thirty-six Hispanic people arrested in connection with another cockfighting ring in Hampton County, South Carolina, faced only state charges. The Court of Appeals, Fourth Circuit, found that appellants failed to show that they were similarly situated to the Hispanic defendants who were not prosecuted on federal charges.

U.S. v. Brigham Oil and Gas, L.P. The Government charged Brigham Oil & Gas, L.P.with “taking” (killing) two migratory birds found dead near one of its reserve pits. But, the Court found that the use of reserve pits in commercial oil development is legal, commercially-useful activity that stands outside the reach of the federal Migratory Bird Treaty Act. Therefore, the Court held that the oil and gas companies' use of reserve pits did not violate Migratory Bird Treaty Act's prohibition against taking of protected birds, since death or injury was not intentional, and grated the defendant's motion to dismiss.
U.S. v. Bronx Reptiles, Inc.


After defendant received a shipment of dead frogs, he was convicted of violating a portion of the Lacey Act, 18 U.S.C.S. § 42(c), which made it a misdemeanor to knowingly cause or permit any wild animal to be transported to the United States under inhumane or unhealthful conditions. Defendant appealed, and judgment was reversed and remanded with instructions to enter a judgment of not guilty. The government failed to meet its burden to prove not only that the defendant knowingly caused or permitted the transportation to the United States of a wild animal, but also that the defendant knew the conditions under which the frogs was transported were "inhumane or unhealthful."

U.S. v. Bryant


Ricky Bryant appeals convictions on one misdemeanor and two felony counts of purchasing illegally obtained fox pelts, violations of the Lacey Act Amendments of 1981, 16 U.S.C. § 3371-3378 (1981).  The court held that the North Carolina regulation, which unambiguously prohibited the hunting of foxes without authorization and expressly stated that dealing in untagged pelts is illegal, withstood the void for vagueness test as prosecuted under the Lacey Act.  The court further dismissed challenges based on an entrapment defense and arguments that the Lacey Act constitutes an unconstitutional delegation to the States of legislative power reserved to Congress.

U.S. v. Cameron


Defendant was a commercial fisherman and conditionally pled guilty to unlawfully acquiring and transporting halibut with market value of more than $350 and knowingly intending to sell illegally taken halibut in violation of Lacey Act after he exceeded the catch limits set by the Pacific Halibut Act.  Defendant argued that the Lacey Act criminalized the same civil conduct regulated by the Halibut Act, thereby superseding that federal statute.  The court disagreed, finding that the purpose of the Lacey Act was to strengthen existing wildlife laws where the underlying law did not specify exclusive control. 

U.S. v. Carpenter


Defendant owned a goldfish farm and hired lethal "birdmen" to kill various birds that interfered with his operation, including herons and egrets, by means of shooting, trapping, and poisoning.  In reversing defendant's conviction under the Lacey Act, the Court disagreed with the government's position that the act of taking of the birds in violation of the Migratory Bird Treat Act also implicated the Lacey Act.  The court held that the Lacey Act requires something beyond the first taking; indeed a person must do something to wildlife that has already been "taken or possessed" in violation of law.

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