Case ECF No. 1 filed 09/12/19 PageID.1 Page 1 of 40 AUSA: David Gardey Telephone: (313) 226?9591 AO 9] (Rev. Hm) Criminal Complaint Special Agent: Andrew Donohue, DOL Telephone: (313) 226-3101 UNITED STATES DISTRICT COURT for the Eastern District of Michigan United States of America Case; 2:19-mj-30488 v. Asagned To Unasagned Assign. Date 9/12/2019 VANCE PEARSON Description: RE: SEALED MATTER Defendant. (EOB) CRIMINAL COMPLAINT 1, the complainant in this case, state that the following is true to the best of my knowledge and belief. On or about the date(s) of 2014 through 2018 in the county of Wayne in the Eastern District of Michigan elsewhere the defendant(s) violated: Ode Section Offense Description 29 U.S.C. 501(c) Embezzlement of Union Funds 29 U.S.C. 439(b) and Filing False LM Reports and Maintaining False Union Records 18 U.S.C. 1341 1343 Mail and Wire Fraud 18 U.S.C. 1956 1957 Money Laundering 18 U.S.C. 2 Aiding and Abetting 18 U.S.C. 371 Conspiracy This criminal complaint is based on these facts: SEE ATTACHED AFFIDAVIT [3 Continued on the attached sheet. 1 Complairym ?5 signature Special Agent Andrew Donohue, US. Dept. of Labor-016 Primed name and ride Date: September 12, 2019 Judge '5 Signature Sworn to before me and signed in my presence. City and state: Detroit. Michigan David R. Grand, U.S. Magistrate Juddc Primed name and title Case ECF No. 1 filed 09/12/19 PageID.2 Page 2 of 40 Af?davit in Support ofa Criminal Complaint 1, Andrew Donohue, being first duly sworn, hereby depose and state as follows: Introduction and AMI Bacground 1. I am a Special Agent with the US. Department of Labor, Of?ce of Inspector General, Of?ce of Investigations - Labor Racketeering and Fraud and was previously employed as a Senior Investigator with the US. Department of Labor, Of?ce of Labor Management-Standards l' have been employed within the DOL since September 2006 and am currently assigned to the DOL-OIG Detroit Field Office. 2. have graduated from the Criminal Investigator Training Program (CITP) and the Inspector General Investigator Training Program at the Federal Law Enforcement Training Center (FLETC). I attended and participated in multiple joint in-service sessions for agents and Federal Bureau of Investigation (FBI) agents, for training on the current criminal laws prohibiting labor racketeering and other criminal violations of Title 18 and Title 29 ofthe United Stated Code. I have also received training in documentary and electronic evidence given by members of the Computer Crime Intellectual Property Section (CCIPS) of the US. Department of Justice. Case ECF No. 1 filed 09/12/19 PageID.3 Page 3 of 40 3. During my years at the Department of Labor, I have conducted numerous investigations into criminal violations of both Title 29 and Title 18 of the United States Code. Through my training and investigative casework involving labor organizations, I am familiar with the operation, administration, and business practices of labor unions and the corporate employers with which they negotiate. 4. I make this af?davit based upon personal involvement in the subject criminal investigation, including review of ?nancial, property and business records, review of email communications, interviews of witnesses, the execution of search warrants, the seizure and review of physical and electronic evidence, and law enforcement surveillances. I have also been provided with information and reports from other law enforcement agents and of?cials from the FBI and Internal Revenue Service Criminal Investigations This af?davit does not contain all of the facts developed to date in the underlying investigation and is being submitted in support of the Government's application for the issuance of a criminal complaint. 5. As a result of my participation in this investigation, I believe probable cause exists to show that Vance Pearson (PEARSON) has committed the following offenses: 29 U.S.C. 501(c), Embezzlement of Union Funds; 29 U.S.C. 439(b) and (0), Filing False LM Reports and Maintaining False Union Records; 18 U.S.C. 2 Case ECF No. 1 filed 09/12/19 PageID.4 Page 4 of 40 1341 1343, Mail and Wire Fraud; 18 U.S.C. 1956 1957, Money Laundering; 18 U.S.C. 2, Aiding and Abetting others in the commission of the same; and 18 U.S.C. 371, Conspiracy to commit the same. Summary of the Relevant Labor Statutes 6. The Labor?Management Reporting and Disclosure Act (LMRDA), also known as the Landrum-Griffin Act, is a Federal statute that regulates certain aspects of internal union affairs. Labor organizations comprised wholly or in part of private sector employees are covered by the Act. The LMRDA guarantees union members rights such as the right to participate in union meetings and vote in union elections. The Act also contains reporting provisions that require unions to disclose information about their structure and financial condition (called LM Reports). Section 206 of the LMRDA creates an af?rmative obligation for union officials to maintain records that explain or clarify entries on the union?s LM reports and allow the reports to be checked for accuracy and completeness. The statute makes filing of a false LM report or false entries, including willful concealment in union records, a crime. Finally, the LMRDA provides safeguards for protecting labor organization funds and assets through criminalizing the embezzlement of union funds or assets by any of?cer or employee of the organization. Case ECF No. 1 filed 09/12/19 PageID.5 Page 5 of 40 Summary of the Investigation 7. Since 2015, I have been involved in a multi-agency investigation of the United Auto Workers (UAW) and Fiat Automobiles (F CA). To date, nine individuals have been convicted of crimes for their roles in criminal activity uncovered by the investigation. Many of these charges and convictions involved UAW officials? improper receipt of things of value from CA of?cials and others acting on their behalf. More recently, a former UAW of?cial has pleaded guilty to conspiring to accept kickbacks from vendors in exchange for the official awarding contracts to those vendors. 8. However, apart from the activity described in the paragraph above, the investigation has also uncovered a multi-year conspiracy involving senior UAW officials embezzling, stealing, and unlawfully and willfully abstracting and converting UAW funds to purchase luxury items and accommodations for their own personal bene?t. The outlay of the funds was not properly approved, was concealed from the view of the UAW members, and used for the personal benefit of the upper echelon of union of?cials who were elected to represent the members? best interests above their own. 9. The investigation has shown that these officials obtained fraudulent ?approval? through the submission of vouchers that misrepresented payments as official business and concealed the true destination and purpose of the expenses. 4 Case ECF No. 1 filed 09/12/19 PageID.6 Page 6 of 40 These schemes resulted in the UAW ?ling false LM reports with the US. Department of Labor by making material misrepresentations as to the true nature of the expenses, subsequent money laundering transactions, and mail/wire fraud activity involving the concealment and movement of the money. Bac round The UA and its Structure 10. The UAW is a ?labor organization? as de?ned in the LMRDA, with its headquarters based in Detroit, Michigan. The UAW represents hundreds of thousands of non-management workers employed in private industry at numerous locations in Michigan and across the United States. The UAW engages in contract negotiating sessions with FCA, Ford, GM, and dozens of other employers that establish collective bargaining agreements (CBA) covering wages, working conditions, and numerous related bene?ts for the rank-and??le UAW members. 1 1. Like most unions, the UAW is a ?tiered? organization. The UAW International Union is the union?s parent body and is located within the Eastern District of Michigan (EDMI) at 8000 East Jefferson Avenue, Detroit, MI 48214. Colloquially, the union?s headquarters is known as ?Solidarity House? or ?Solid House? amongst its members and may be referenced as such in this affidavit. Most rank?and?file UAW members belong to local unions, which generally are organized by either employer, plant, or geographic area. According to the 5 Case ECF No. 1 filed 09/12/19 PageID.7 Page 7 of 40 website, UAW members belong to more than 600 local unions and are supported by Solidarity House and its nine regional of?ces. 12. The UAW Regions are administrative arms of Solidarity House located across the United States. The UAW Region 5 Of?ce (REGION 5) is located within the Eastern District OfMissouri (EDMO) at 721 Dunn Road, llazelwood, MO 63042. According to the union?s website, UAW Region 5 covers 17 western states and has sub of?ces in Dallas, TX, Kansas City, MO, and Pico Rivera, CA. REGION 5 represents UAW members who work in the academia, auto parts, aerospace, and beverage container industries for employers like GM, Ford, Lear Corp., Lockheed, Raytheon, and Vought. 13. Agents have learned that the UAW Region 5 Midwest States CAP Council (MIDWEST CAP) and Region 5 Southwest States CAP Council (SOUTHWEST CAP) operate within REGION 5?sjurisdiction. The CAP councils are the ?Community Action Programs.? The MIDWEST CAP is located within the EDMO and co?locatcd with REGION 5 at Region 5?s headquarters at 721 Dunn Road, Ilazelwood, MO 63042. The SOUTHWEST CAP is located at 1341 W. Mockingbird Lane, Suite 301 W, Dallas, TX 75247. According to the UAW Constitution, the CAP Councils are ?designed to improve and enrich the quality of American life? and otherwise promote and engage in community activism. The UAW CAP councils are funded through ?per-capita? tax payments 6 Case ECF No. 1 filed 09/12/19 PageID.8 Page 8 of 40 derived from dues money collected by the UAW local unions and are subject to the same governance as Solidarity House and UAW locals. The UAW CAP Councils are ?labor organization[s]? as defined in the LMRDA and file LM reports with the US. Department of Labor. The UA '3 Governance 14. The UAW is governed by the UAW Constitution, which lays out the organization?s objects, structure, officers, and framework. The UAW holds elections every four years to elect its officers. The officers include the President, Secretary-Treasurer, three (3) Vice Presidents, and nine (9) Regional Directors. These officers hold de facto positions on the union?s International Executive Board (IEB), which is the highest authority in the UAW between meetings of the International Convention of UAW Delegates. On occasion, the issues guidance in the form of Administrative Letters. These letters serve as policy clarification or to fill in gaps in the governance ofthe union. 15. Both Federal Law and the UAW Constitution impute a fiduciary duty on union officers to manage the funds and property 0fthe union solely for the benefit of its members. The UAW Constitution has a special section entitled the Ethical Practices Code (EPC), which prescribes the moral principles to which all UAW members and officials must adhere. Like the EPC, multiple Administrative Letters prohibit moral turpitude, self?dealing, the mere appearance of conflicts of 7 Case ECF No. 1 filed 09/12/19 PageID.9 Page 9 of 40 interest, and leveraging union positions for personal advantage. Furthermore, the EPC states: ?Union/ands are held in sacred z?ruslfor the benefit ofrhe membership.? and officer or representative shall accept "kickbacks, zmder- the?table payments, valuable gifts, lavish entertaimnem or any personal payment af?cmy kind. 16. The union?s Financial Of?cers Manual discloses that the UAW operates on a ?voucher system.? This means that all ?order[s] on the treasury? (aka check requests) must be attested to by two officers who can verify or ?vouch? for these actions. The ?voucher system? is also supported by a June 4, 1957, Administrative Letter issued by famed UAW President Walter Reuther. This letter indicates that the UAW adopted the CODE OF MINIMUM ACCOUNTING AND FINANCIAL CONTROLS FOR which states in part, ?All expenditures should be approved by proper authority under constitutional provision and be recorded and supported by vouchers; providing an adequate description otthe nature and purpose ofthe expenditure sufficient for a reasonable audit by internal and independent auditors.? U/l Officials l7. Vance Pearson (PEARSON) is currently the Regional Director of UAW Region 5 and has been such since June 2018. This makes PEARSON one of the most senior of?cials in the UAW and a member of the IEB. In his position as 8 Case ECF No. 1 filed 09/12/19 Page 10 of 40 Regional Director, PEARSON is responsible for representing the best interests of the tens ofthousands of UAW members employed within Region 5. PEARSON has been an officer or employee of the UAW continually since 2002. In 2003, PEARSON was assigned to Region 5 as a servicing representative responsible for collective bargaining, arbitrations, and organizing. For a time, PEARSON was third in command of Region 5. In January 2016, PEARSON became Region 5 Assistant Director or second in command of Region 5. In that position, PEARSON was heavily involved in seeking approval from UAW HQ for the expenditure of UAW funds on Region 5 conferences in California and Missouri. 18. UAW Of?cial A is currently a UAW officer and has held several senior UAW positions for many years. 19. UAW Official is a former UAW of?cer. UAW Official has held senior UAW officer positions for a number of years. 20. UAW Officer was a former UAW official in UAW Region 5. UAW Of?cial had worked for the union for a number ofyears. 2] . UAW Official was a former senior UAW official who worked for the union for a number ofyears. Case ECF No. 1 filed 09/12/19 PageID.11 Page 11 of 40 The Embezzlement and Fraudulent Approval Scheme Par/m Springs, 22. The investigation has revealed an embezzlement scheme whereby UAW officials hid their personal use of UAW money without any legitimate union business purpose. These UAW officials have intentionally and fraudulently concealed these personal expenses within the cost 01? UAW leadership and training conferences in order to prevent their discovery by the government and the UAW membership. 23. The investigation has disclosed that the UAW controls multiple bank accounts located in the EDMI at JP Morgan Chase Bank NA. This includes the union?s checking account at PMorgan Chase Bank Dearborn Branch listed in Dearborn, MI 48126 (ABA Routing Review ofthe union?s books and records show that between 2014 and 2017, the union outlaid by check or wire, over $1 million to the Renaissance Palm Springs Hotel (RPSH) in Palm Springs? CA. Listed below is a selection of those checks and wires: 10 Case ECF No. 1 filed 09/12/19 PageID.12 Page 12 of 40 Check Date heck Check Amount 8/15/2014 1591619 RPSH $175,000 1/5/2015 WIRE 99020288 RPSH $150,000 6/8/2015 1616783 RPSH $245,000 5/26/2016 1660844 RPSH $175,000 12/8/2016 1679635 RPSH $80,000 1/18/2017 1683410 $25,000 6/7/2017 1696310 RPSH $175,000 $1 ?25,000 24. The union?s publicly available LM-2 Reports filed with the US. Department of Labor for 2014 through 2017 represent that the destination of those expenditures was the RPSH, a hotel in Palm Springs, CA. Furthermore, the UAW disclosed that the purpose of these payments were for deposits and expenses associated with the 2014 to 2018 Region 5 Leadership Conferences (Region 5 Conference). 25. Agents have learned that the Region 5 Conference is an event that traditionally occurs each January in Palm Springs, CA. Ostensibly, the purpose of the Region 5 Conference is to train local union leadership on issues that affect them, such as bargaining, grievance adjudication, and the proper administration of the union. According to the ?Call Letter" (the official announcement ofthe conference) issued by the UAW, the Region 5 Conference typically lasts between 3 and 5 days. However, UAW officials, including PEARSON, and others would 11 Case ECF No. 1 filed 09/12/19 PageID.13 Page 13 of 40 spend weeks and/or months living in Palm Springs enjoying an extravagant lifestyle paid for with UAW funds. 26. Agents obtained and reviewed the UAW Payment Request Forms (commonly known as ?vouchers?) that requested the disbursement of UAW funds and provided the underlying supporting documentation related to the expenses. Agents found that the vouchers were authorized/approved by UAW Of?cial A, PEARSON, and UAW Official C, or some combination thereof, depending on the instance. Review of the vouchers disclosed that the payments listed above were ?deposits? or advance payments made to the for the Region 5 Conference. Cursory examination of the agreement reflected expenses one might expect to see when conducting a legitimate training conference. That is to say, the securing of a block of hotel rooms, meeting rooms, and audio?visual fees. However, upon an in depth review, agents also noted language in the contracts regarding the creation of a ?Master Account," which provided authorized staff may sign for payments (charges) at local restaurants, golf courses, and additional retail outlets, and the Hotel will post these charges to their Master Account." 27. Agents contacted the RPSH and spoke with Cooperating Witness #1 (CW-1), an employee of RPSH, who indicated that the UAW had a ?Direct Bill? or ?Master Account? arrangement with the hotel. This allowed senior UAW officials to deposit UAW funds up-front and run a tab for retail, grocery, meals, liquor, l2 Case ECF No. 1 filed 09/12/19 PageID.14 Page 14 of 40 cigar, and other entertainment expenses at vendors in and around Palm Springs. The RPSH would satisfy those debts using funds from the deposit. also stated that a signi?cant portion of UAW funds was used to pay local companies for offsite housing including villas with private pools and condominiums in gated neighborhoods for select UAW officials. The investigation has established that the conspirators used the Master Account as a way to conceal the embezzling of union funds for their own personal use. 28. Armed with this knowledge, agents obtained not only records from the RPSH, but also from the vendors paid by the RPSH on the behalf. Agents noticed many expenses that are inconsistent with the legitimate conduct of union business, were not disclosed to the HQ at Solidarity House, and did not appear on the union?s LM reports. Records show over $600,000 of the money paid by UAW to RPSH was used by the hotel to satisfy debts incurred and arranged by senior UAW officials at Palm Springs, California area businesses such as l-lolly Homes, Desert Princess Rentals, LG Prime Steak House, Johnny Costa?s Ristorante, Las Casuelas, Indian Canyons Golf Resort, Gary?s Sales, and the Tinder Box, between 2014 and 2017. In many, ifnot all instances, UAW Official A, PEARSON, and UAW Official were the individuals that made the underlying billing arrangements. Agents also noted that these expenses were concealed in line 13 Case ECF No. 1 filed 09/12/19 PageID.15 Page 15 of 40 items on the RSPH master invoice called ?off-site rooms? and ?off-site functions" or variations thereof. 29. Agents determined that through the RPSH, the UAW paid over $400,000 to Palm Springs area businesses Holly Homes, Desert Princess Rentals, and Home Cleaning Services of America between 2015 and 2017. Records and testimony disclosed that off-site condominiums and villas with private pools and hot tubs in gated communities were secured for individual high-ranking union officials, including PEARSON, and UAW Of?cials A, B, C, D. Agents noted that UAW email addresses assigned to UAW Of?cial A and PEARSON discuss the villas and condominiums arrangements between 2015 and 2018. Agents found examples of UAW Of?cial A, PEARSON, and UAW Of?cial signing vouchers to the UAW requesting ?deposit? payments to the RPSH even after they had been directly involved in making arrangements with Holly Homes, Desert Princess Rentals, and/or Cleaning Services ofAmerica. A selection of notable ?ndings include: a. According to the of?cial call letter, the 2014 Region 5 Conference took place between January 14-16, 2014 (3 days). However, records indicate individual villas were rented for UAW Of?cial A and UAW Official from December 27, 2013 to January 27, 2014 (31 days). 14 Case ECF No. 1 filed 09/12/19 PageID.16 Page 16 of 40 b. According to the of?cial call letter, the 2015 Region 5 Conference took place between January 5-9, 2015 (5 days). However, records indicate individual villas were rented for UAW Official A from about December 28, 2014 to January 31, 2015 (34 days); UAW Of?cial from about December 25, 2014 to January 31, 2015 (37 days); and UAW Of?cial from about December 25,2014, to January 31,2015 (37 days). c. According to the of?cial call letter, the 2016 Region 5 Conference took place between January 1 1-15, 2016 (5 days). However, records indicate that a villa was rented at 67?740 S. Trancas, Cathedral City, CA for UAW Official between December 24, 2015 and February 29, 2016 (67 days) at a total cost over $1 1,000 to the UAW. A villa located at 29-296 W. Laguna, Cathedral City, CA was rented for UAW Of?cial between December 17,2015 and March 31, 2016 (105 days) at a total cost of over $15,000 to the UAW. A villa located at 67?698 S. Natoma, Cathedral City, CA was rented for UAW Official A from December 28, 2015 to February 29, 2016 (63 days), at a total cost of over $10,000 to the UAW. d. According to the official UAW call letter, the 2017 Region 5 Conference took place between January 9?13, 2017 (5 days). Agents found that PEARSON executed a rental agreement for the property located at 67- 619 S. Laguna, Cathedral City, CA for December 1, 2016 to April 1, 2017 15 Case ECF No. 1 filed 09/12/19 PageID.17 Page 17 of 40 (about 121 days). Desert Princess Rentals recorded the inhabitant of that address as UAW Official B. The total cost ofthe single villa was over $20,000 and was satis?ed with funds from the UAW. 30. Between 2016 and 2018, Agents learned that over $60,000 of UAW funds were used for meals at Palm Springs area restaurants LG Prime Steak House and Johnny Costa?s Ristorante paid via the master billing arrangement. Ostensibly, these meals were falsely represented to be part ofthe Region 5 Conferences. In fact, some of these meals took place far outside the dates of the conferences. Like the villa expenses, the subject vouchers submitted to Solidarity House make no mention of the meals. Furthermore, investigating agents found no records detailing the business purpose of the meals, and those in attendance, as is required by the LMRDA to substantiate the expenses. Agents obtained underlying receipts from the vendors and found multiple instances of the meals taking place outside the official conference dates and the significant purchases of wine and liquor. For example, the call letter indicates that the 2017 UAW Region 5 Conference took place between January 9?13, 2017. However, agents found that the following meals were paid for with UAW funds under the fraudulent claim that the meals related to the Region 5 Conference: a. An LG Prime Steak House invoice reflecting a December 3] 2016 (New Year?s Eve) meal totaling over $6,599.87, which included $1,942 in l6 Case ECF No. 1 filed 09/12/19 PageID.18 Page 18 of 40 liquor, $1,440 in wine, and what appears to be a $1,100 tip. The bill also indicates the purchase of four (4) bottles of Louis Roederer Cristal Champagne totaling $1,760. The Louis Roederer website indicates that Cristal Champagne is the company?s ?agship brand, which was originally created ?in 1876 to satisfy the demanding tastes of [Russian] Tsar Alexander ll.? b. A Johnny Costas Ristorante invoice from December 29, 2016, totaling $2,079. This meal included the purchase of multiple glasses ol?Crown Royal XR (Extra Reserve) at $40 a glass, a drink that Crown Royal Distillery describes as ?the rarest in our extra rare whiskey series.? c. Another Johnny ostas Ristorante invoice from January 3, 2017, totaling $2,292.65. This meal included the purchase of multiple glasses of Crown Royal XR and Macallan 18-Year?Old Scotch at $40 a glass. (1. Another LG Prime Steakhouse receipt from January 5, 20 7, reflects the outlay Notable purchases include glasses of 17-year-old Macallan Scotch at $25 per glass and eight (8) bottles ol?Duckhorn 3 Palms Merlot (aka wine) purchased at $180 a bottle totaling $1,440. 31. Agents determined that through the RPSH master billing arrangement, the UAW paid the Indian Canyons Golf Resort over $80,000 between 2015 and 2018 for purchases made by a set of people using the nom de guerre ofthe l7 Case ECF No. 1 filed 09/12/19 PageID.19 Page 19 of 40 Of?cial Group.? Indian Canyons Golf Resort records indicate that expenses included food and beverage, green fees, club rental, and retail purchases. More often than not, these expenses occurred outside the of?cial dates of the yearly conferences. Additionally, many ofthese invoices were signed by UAW Of?cial A, PEARSON, and UAW Of?cial C. Again, Agents note the absence of disclosure ofthe golf and merchandise expenses to Solidarity House on vouchers submitted to secure funding. Agents also found examples of expenses that on their face are inconsistent with the legitimate conduct of union business. For example: a. A purchase of over $3,000 at the Indian Canyons pro shop on December 29, 2014. The invoice appears to bear the signature of UAW Of?cial C. Purchases include men?s and women?s shirts, jackets, hats, visors, and sunglasses. b. An almost $900 purchase at the Indian Canyons pro shop on January 2, 20 6. The invoice appears to bear the signature of UAW Of?cial A. Purchases include, hats, gloves, a golf bag,jackets, socks, and ?fashion shorts.? c. A purchase of over $2,000 at the Indian Canyons pro shop on December 3 l, 2016. The invoice appears to bear the signature of PEARSON and contains the hand written name ?Vance Pearson? directly 18 Case ECF No. 1 filed 09/12/19 PageID.20 Page 20 of 40 under the signature. Purchases include polo shirts, shoes, jackets, hats, and ?Men?s Fashion 32. Agents reviewed Indian Canyon?s Golf Resort records and noted signi?cant purchases ofgreen fees billed to the Of?cial Group.? The records also indicate that greens fees were for golf played outside the dates ofthe of?cial conference dates. For instance in 2015, the of?cial Region 5 Conference took place between January 5 and 9, 2015. Indian Canyon?s records indicate that 107 18?hole rounds of golf(or 1,926 holes) were paid for by the UAW outside the conference dates. Green fees were secured as early as December 29 and as late as January 29 at a total cost of almost $9,000 to the UAW membership: ?2121 R8318 8121"??811 12/29/2014 10 $74 180 180 $740 $740 12/30/2014 12 $74 216 396 $888 $1,628 1/2/2015 9 $84 162 558 $756 523334 1/3/2015 10 $84 180 738 $840 $3,224 1/4/2015 1 1 $84 198 936 $924 $4,148 1/13/2015 12 $84 216 1152 $1,008 $5,156 1/14/2015 8 $84 144 1296' $672 $5,828 1/15/2015 3 $84 54 1350 $252 $6,680 1/17/2015 8 $1 10 144 1494 $880 $6,960 1/18/2015 2 $84 36 1530 $168 $7,128 1/19/2015 4 $84 72 1602 $336 $7,464 1/24/2015 2 $84 36 1638 $168 $7,632 1/25/2015 6 $84 108 1746 $504 $8,136 1/27/2015 3 $84 54 1800 $252 $8,388 1/29/2015 7 $84 126 1926 $588 $8,976 107 19 Case ECF No. 1 filed 09/12/19 PageID.21 Page 21 of 40 33. Agents determined that through the RPSH, the UAW paid over $60,000 for cigar and tobacco, humidors, cigar cutters, and related expenses between 2014 and 2018 at The Tinder Box in Palm Springs, CA and Gary?s Sales in Parker, AZ. Like the expenses detailed above, no mention ol?cigars was made to Solidarity House in securing funding for the Region 5 Conferences. Notable items include: a. A 2014 Tinderbox invoice issued to Official for an over $1,800 purchase that included four (4) stainless steel table cutters at $72.50 a piece for a total of $285 and four (4) 100 count humidors at $187.50 each for a total of $750. b. The November 2016 Gary?s Sales invoice issued to VANCE for an over $13,000 purchase that included 16 boxes ofDiamond Crown Churchills at $243 a box (totaling $3,888) and 10 boxes ofAshton Monarch Tubos cigars at $274.50 a box (totaling $2,745). Handwritten on the bottom ofthe invoice reads ?Hi Vance, Thank You Merry Christmas.? 0. A December 2015 Gary?s Sales invoice issued to cx?o Official for a $13,046.91 purchase that included an order for 12 boxes of Ashton Double Magnum cigars at $268.00 per box (totaling $3,216) and 12 boxes of Ashton Monarch Tubos cigars at $274.50 a box (totaling $3,294). 20 Case ECF No. 1 filed 09/12/19 PageID.22 Page 22 of 40 Handwritten on the bottom of the invoice reads ?Hi Of?cial Thank you Happy New Year.? d. A 2017 Tinderbox invoice issued to VANCE for over $1,700 that included a single 400?count humidor for $450 and 10 ?Big Stinky Ashtrays? totaling $299.50. 34. During the review ofthe RPSH records, agents noted the name of Cooperating Witness #2 on many ofthe documents originating from the RPSH. Follow-up with disclosed that was an employee of RPSH between 201 and 2017. interfaced directly with UAW Of?cial A, PEARSON, and UAW Of?cial with respect to the UAW Region 5 Leadership Conferences. con?rmed the ?Master Agreement? billing arrangement as described by and detailed in the sales agreements. added that the arrangement was made at the request ofthe union. While invoicing the 2015 conference, was approached by UAW Of?cial C. UAW Of?cial asked to conceal the condominium, villa, meal, golf, and cigar expenses by falsely in?ating hotel room rentals on the invoice. However, CW-2 told UAW Of?cial that could not do it because it would be wrong to fraudulently hide the expenses. Soon thereafter, UAW Of?cial A approached UAW Of?cial A asked to lump the expenses together into line items like ?outside activities? and ?outside housing.? CW-2 and RPSH agreed to the compromise, but 21 Case ECF No. 1 filed 09/12/19 PageID.23 Page 23 of 40 felt personally conflicted, as CW-2 believed the purpose ofthe endeavor was to conceal the true nature ofthe union?s expenditures from its members. Coronado, California 35. Once agents recognized the fraudulent expenditure funds in Palm Springs for the Region 5 Conference, they began reviewing other ?training? and ?conference? expenses related to REGION 5. Financial records show that between 2014 and 2018, the UAW HQ paid over $200,000, and the SOUTHWEST CAP paid over $195,000 to the Loews Coronado Bay Resort (Coronado Resort) in Coronado, CA for the UAW Region 5 Community Action Program (CAP) Conference. 36. Agents have determined that the subject UAW SOUTHWEST CAP funds were paid via check drawn against a checking account ending at Enterprise Bank and Trust headquartered in Clayton, MO and located in the EDMO (ABA Routing The UAW SOUTHWEST CAP was funded from funds drawn on the liDMl based account previously identified. 37. Agents obtained the subject vouchers submitted to the HQ at Solidarity House and determined that they were signed by UAW Official A, PEARSON, and UAW Official C, or a combination thereof. The majority of funds paid to the Coronado Resort by Solidarity House based on the vouchers were made as ?advance? payments. Case ECF No. 1 filed 09/12/19 PageID.24 Page 24 of 40 38. Records from the Coronado Resort indicate that the union had a similar master billing arrangement as the RPSH in that the Coronado Resort was not the ultimate destination ofthe union funds, but merely a temporary stop. For example: 39. Agents found that the Coronado Resort directed over $25,000 in UAW funds to Access Destinations (an event service company) for high-end meals and excursions in 2015 and 2016. Access Destination records show that the expenses preceded the official meeting dates of the CAP Conference. The outlay of union funds covered chauffeured transportation to private dining events including purchases of 18-year old Macallan Scotch, Crown Royal Reserve, and other high?end liquor and meal expenses. Agents also discovered over $2,000 in excursion expenses for senior UAW officials, including UAW Official A, and their spouses for tickets to the San Diego Zoo?s Safari Park as well as horseback riding on the beach. 40. Additionally, agents discovered the Coronado Resort used UAW advances to pay for over $70,000 to Showtime Golf between 2015 and 2018 for green fees at The Maderas Golf Club, The Grand Del Mar Golf Resort, and The Torrey Pines GolfClub as well as retail purchases at golfeourse pros shops. In one example, $4,599.93 of UAW funds was spent at the Grand Del Mar Pro Shop outside the conference dates for clothing and golf equipment, including polo shirts, 23 Case ECF No. 1 filed 09/12/19 PageID.25 Page 25 of 40 jackets, ribbon belts, pulloverjackets, gloves, hats, shorts, pants, and golf balls. That same day, the UAW also paid for 2-hour horseback trail rides for five individuals. Lake offhe Ozarks, Missouri 41. Agents have even more recently uncovered a similar pattern of concealed expenses surrounding REGION 5 events in Lake ofthe Ozarks, MO. Financial records show that between 2014 and 2018, the UAW HQ in Detroit paid over $300,000, and the MIDWEST CAP paid over $190,000 to the Lodge of Four Seasons (Four Seasons) in Lake Ozark, M0 for union events like the Region 5 Retired Workers IAC Training and Region 5 Staff Meetings. 42. Agents have determined that the subject MIDWEST CAP funds were paid via check drawn against a checking account ending at Enterprise Bank and Trust based in Clayton, MO (ABA Routing The UAW funds were drawn on the previously identified EDMl-based bank account. 43. Agents obtained records from the Four Seasons and determined that the union had a similar arrangement as at the in Palm Springs and at the Coronado Resort in Coronado, CA. That is to say, the union advanced money to the Four Seasons, and the Four Seasons used that money to offset expenses incurred by senior UAW of?cials at outside vendors. Agents determined that over $45,000 was Spent by the UAW on meals and liquor; over $75,000 on golfgreen 24 Case ECF No. 1 filed 09/12/19 PageID.26 Page 26 of 40 fees, golfmerchandise, and accoutrements, including multiple sets of golf clubs; over $3,000 was spent on merchandise like clothing in the hotel store; over $8,000 was spent in spa treatments, and over $1,000 was spent at a local gun range. 44. Examples ofthe expenditure of UAW funds for the purchase of golf clubs through the Four Seasons include the following: An August 19, 2015, receipt from the Club at Porto Cima golfcourse in Missouri, which was ultimately paid for with UAW funds through the Four Seasons, indicates that UAW funds were used to purchase a Titleist 915 driver at a cost of$476.88. On September 7, 2016, UAW officials used UAW funds to purchase a set of eight Titleist 7 1 6 Irons at a cost of $896.00, two Titleist 8161-1 Hybrids at a cost of $499.98, and two Titleist 915 fairway woods at a cost of $599.98. On October 26, 2016, $529.86 in UAW funds were used to purchase a Titleist 917 Driver. On April 29, 2017, a UAW official used UAW funds to purchase a CA EpicDriver for $499.99, a Titleist 2016 select putter for $379.99, a Titleist SM6 wedge for $149.99, and a Titleist putter for $399.99 on April 30, 2017. On May 10, 2017, at the Club at Porto Cima, UAW officials purchased two sets of?liitleist golfclubs costing $1,404.15 and $1,955.21 using UAW funds. On May 27, 2017, a UAW official purchased three Titleist golfclubs at a cost 0f$791.63. None ofthe purchases of any ofthese golfclubs and others using UAW funds were disclosed to or approved by UAW HQ. Instead, these purchases of golf clubs using UAW funds were 25 Case ECF No. 1 filed 09/12/19 PageID.27 Page 27 of 40 concealed within larger bills for Region 5 UAW conferences at the Four Seasons, with the hotel using UAW funds to pay the Club at Porto Cima. In 2016 and 2017, PEARSON and Union Official A approved and submitted UAW vouchers to UAW HQ in Detroit for payment without disclosing that UAW funds were being used to pay for golfclubs for the personal benefit of UAW Official A, PEARSON, and others. Interviews 45. Cooperating Witness #3 was a senior UAW official in the Department. W-3 reported to UAW Vice President Norwood Jewell (Jewell) and his top administrative assistant. CW-3 entered into a cooperation agreement with the government and agreed to enter a felony guilty plea. As part of cooperation agreement, CW-3 agreed to provide truthful and complete information regarding their criminal activity and that ofothers. CW- 3 provided information to federal investigators concerning a multi?year pattern of prohibited payments to union officials, extortion, mail fraud, money laundering, and other criminal activities. Significant portions of the information provided by CW-3 have been corroborated by bank records, credit card records, text and email communications, records from vendors and other third parties, and interviews with other witnesses. On that basis, is considered a reliable source of information. 26 Case ECF No. 1 filed 09/12/19 PageID.28 Page 28 of 40 46. pled guilty to conspiracy to violate the Labor Management Relations Act (Taft Hartley Act) arising from acceptance and receipt of prohibited payments and things of value from FCA officials. As part of ?s plea, CW-3 acknowledged that made signi?cant personal purchases (over $40,000) on credit cards issued by the joint National Training Center (NTC) for CW-3 and for other UAW officials knowing that the purchases were encouraged and authorized by FCA management officials acting in the interest of FCA and paid for by funds provided by FCA. 47. CW-3 told agents that was tasked with shipping Jewell?s and other UAW officials? golf clubs to Palm Springs, CA in about 2015. was uncertain of the destination or the purpose and beganasking other UAW officials to determine where to send the clubs. When Jewell found out about CW-3 ?s inquiries, Jewell called into his office and braced CW-3 with questions on the matter. came to learn that Jewell and other senior UAW officials including Jewell, UAW Official A, and UAW Of?cial were staying in private villas in a gated Palm Springs community under the pretense that it was for the Region 5 Conference. Jewell directed CW-3 to keep the matter quiet, as Jewell did not want others to know about the arrangements. told agents that the outlay of union funds for such extravagant lodging was inappropriate, served no legitimate union business purpose, and further that there was no reason for these 27 Case ECF No. 1 filed 09/12/19 PageID.29 Page 29 of 40 officials to attend the conference. Later, CW-3 learned that senior UAW of?cials spent months at a time in Palm Springs for the weeklong conference, which characterized as unequivocally wrong. Much of what W-3 learned was from conversations with Cooperating Witness #4 who told CW-3 about the happenings inside the villas in the gated community in 2015 and 2016. 48. CW-4 was a senior UAW official in the Department. reported directly to Jewell. CW-4 entered into a cooperation agreement with the Government and agreed to enter a felony guilty plea. As part of cooperation agreement, CW-4 agreed to provide truthful and complete information regarding W-4?s criminal activity and that of others. CW-4 provided information to federal investigators concerning a multi-year pattern of prohibited payments to union officials, union embezzlement, extortion, mail fraud, money laundering, and other criminal activities. Signi?cant portions ofthe information provided by has been corroborated by bank records, credit card records, text and email communications, records from vendors and other third parties, and interviews with other witnesses. On that basis, is considered a reliable source of information. 49. In 2018, pled guilty to conspiracy to violate the Labor Taft Hartley Act arising from acceptance and receipt of prohibited payments and things of value from FCA officials. As part ofCW?4?s plea, 28 Case ECF No. 1 filed 09/12/19 PageID.30 Page 30 of 40 acknowledged that made signi?cant personal purchases (over $40,000) on the NTC-issued credit cards for CW-4 and for other UAW officials knowing that the purchases were encouraged and authorized by FCA management of?cials acting in the interest of FCA and paid for by funds provided by FCA. 50. told agents that Jewell, PEARSON, UAW Of?cials A, B, D, and others spent months in Palms Springs, CA paid for by the UAW or FCA. The UAW officials strung together meetings and conferences in Palm Springs, during which union officials conducted little or no union business, to camou?age the month long stays. CW-4 stated that the aforementioned of?cials stayed in private condominiums, golfed, dined at lavish restaurants, and otherwise ?partied? under the pretense that they were conducting union or labor-management business. In reality, little to no union business was conducted. CW-4 and other similarly situated of?cials, like PEARSON, were directed by their seniors to outlay UAW and employer funds to cover the expenses. CW-4 recalled an incident where 4 went shopping at the Indian Canyons Golf Resort and when got to the checkout, the cashier asked if CW-4 wanted to put the items on UAW Of?cial A?s tab. The cashier also told CW-4 that UAW Of?cial had spent about $1,000 on UAW Of?cial A?s tab earlier that day purchasing apparel, golfequipment, and other items at the pro shop. characterized the activity as wrong and an improper use of union and joint-training funds (depending on which entity paid). 29 Case ECF No. 1 filed 09/12/19 PageID.31 Page 31 of 40 51. Agents interviewed Cooperating Witness #5 who is a former UAW officer. CW-5 was accompanied by attorney during the interview, and the statements made by CW-5 were subject to a proffer agreement between the government and W-5, which barred the use of the statements or any evidence derived from the statements against CW-5. CW-5 confirmed that all UAW expenses had to be properly approved and for the benefit of the membership. W-5 reviewed excerpts of the transactions detailed above from Palm Springs and the Coronado Resort, and stated that they were outside what would have approved, and that CW-5 did not know that union funds were being outlaid for such expenses. W-5 indicated that the accounting department cut the checks based on the representation that they were legitimate expenses made for legitimate union conferences. CW-5 did not believe that the union?s LM reports gave an accurate picture ofexpenses surrounding the UAW Region 5 Leadership Conference and the UAW Region 5 CAP conference based on the vouchers submitted by UAW Region 5. 52. Agents interviewed Cobperating Witness #6 (CW-6), who has served in the Accounting Department for several years. was accompanied by attorney during the interview, and the statements made by CW-6 were subject to a proffer agreement between the government and which barred the use of W-6?s statements against indicated that the UAW 30 Case ECF No. 1 filed 09/12/19 PageID.32 Page 32 of 40 Accounting Department reviews the UAW vouchers, classi?es the payments, and helps prepare the union?s LM reports based on the representations made by those union of?cials requesting/authorizing the payment. CW-6 indicated that there is an understanding that union officials are maintaining all applicable records and making good-faith representations on the check requests. reviewed select expenses from Palm Springs, CA and Coronado, CA detailed above and indicated that had no idea that UAW funds were being used for expenses like cigars, liquor, clothing, and excursions. CW-6 stated that any outlay of union funds had to be used for the benefit of the members and that had no knowledge of the union bene?t because CW-6 had no knowledge of the expenses. CW-6 con?rmed that the source of the funds was the union?s bank accounts located within the EDMI and con?rmed that all UAW vouchers, including the subject vouchers, were sent via US. Mail to Solidarity House in Detroit. 53. Agents interviewed UAW Of?cial C. During the interview, UAW Of?cial was accompanied by an attorney, and the statements made by UAW Of?cial were subject to a proffer agreement between the government and UAW Of?cial C, which barred the use ofthe statements or any evidence derived from the statements against UAW Of?cial as long as UAW Of?cial provided truthful and complete answers. UAW Of?cial stated that the ?Master Account? billing arrangement at the RPSH was established at UAW Of?cial A?s request, and that 31 Case ECF No. 1 filed 09/12/19 PageID.33 Page 33 of 40 the purpose of it was to conceal the true nature of how the union money was being spent. UAW Of?cial con?rmed that UAW Of?cial submitted false vouchers to the UAW to conceal the expenses at UAW Of?cial A?s direction. UAW Official stated that UAW Of?cial and PEARSON were involved in making the arrangements at RPSH and the Coronado Resort at UAW Of?cial A?s behest. UAW Of?cial also con?rmed that UAW monies were used for the purchase of expensive cigars, high-end liquor, fancy meals, nice clothing, and extravagant lodging for high-level union of?cials and that those expenses were wrong. UAW Of?cial witnessed PEARSON and UAW Official A purchase golf clothing on the Of?cial Group? account at the Indian Canyons Golf Resort. UAW Of?cial believes that UAW Of?cial A used the events to curry favor with UAW Of?cial who also enjoyed the lavish lifestyle. UAW Of?cial stated that union monies were used to secure villas and pay for expenses for retired UAW members to attend and that those members had no legitimate reason to attend the events. UAW Of?cial stated that the retirees were simply friends of UAW Of?cial A and/or UAW Of?cial B. UAW Of?cial also indicated that this activity began before 2014 and that the UAW and REGION 5 has had similar billing arrangements for some time prior. Case ECF No. 1 filed 09/12/19 PageID.34 Page 34 of 40 The of A {coho} 54. During the course ofthe investigation, agents have developed signi?cant information concerning the ?culture of alcohol? that exists in the senior ranks ofthe UAW. Said term was first used by CW-4 during interviews with agents. In those and other interviews, CW-4 detailed the outlay of NTC training funds used to purchase significant amounts of liquor and custom-labeled bottles of wine for senior UAW officials including a bottle of Crown Royal Whiskey purchased for UAW Official costing $185. 55. Agents also spoke with vendors to the NTC who were present in Palm Springs, CA for the events and told agents that there was ?no limit? on the amount of alcohol they would purchase for requesting union officials. The vendor added that although a conference in Palm Springs was only a few days, the UAW executives stayed for a month or more. The vendor usually took a full semi-truck of luggage and goll?clubs for the UAW so they did not have to travel with luggage. The vendor also transported the luggage back to Detroit as well as any luxury items that were purchased in and around Palm Springs by the UAW officials. 56. Vendor records and statements testimony obtained from CW-4 5. and others detailed two parties totaling over $50,000 thrown by then UAW Vice President Norwood Jewell, funded by the NTC, under the guise that they were dinners for the UAW to showcase the NTC. These events included thousands 33 Case ECF No. 1 filed 09/12/19 PagelD.35 Page 35 of 40 of dollars of ?ultra?premium? liquor, cigars, a torcedor (a person who rolls cigars), and ?kandy girls? (provocatively dressed women) to light the cigars for the UAW of?cials. lfthat alone were not enough, training funds were also spent on mojito tables and decorations to theme the event like the 1980?s hit T.V. show Miami Vice. 57. As the investigation shifted from investigating the NTC to investigating the UAW proper, the investigators began noticing similar patterns involving the outlay of union funds for alcohol for senior UAW officials. Agents discovered early on that UAW funds sent to the RPSH were used to purchase Crown Royal Reserve at $227 per bottle, Head Vodka at $175 per bottle, and Belvedere Vodka at $200 per bottle for conference VIPs. 58. When questioned about REGION 5 conferences, UAW Official detailed the purchase of high?end Crown Royal Whiskey, Macallan Scotch, and Grey Goose Vodka for senior UAW officials. UAW Official also told agents that the villas in Palm Springs were fully stocked with alcohol for the UAW VIPs. None of which the UAW of?cials had to pay for from their personal funds. Money Laundering, False Entries in Union Records, and False LM Reports 59. Based on my knowledge, training, and experience, and through consultation with other agents on this and other cases, I know that money laundering is the term given to financial transactions, which are conducted for the i 34 Case ECF No. 1 filed 09/12/19 PageID.36 Page 36 of 40 purpose of concealing funds, generated by illegal activity. Individuals engaged in laundering illegal funds often flow money through various bank accounts and nominees to avoid detection oflaw enforcement, conceal the true nature of the transactions, and give those funds the appearance of legitimacy. 60. As detailed above in paragraph 23, agents identi?ed six checks and one wire drawn on the bank accounts and issued to the Renaissance Palm Springs Hotel between August 2014 and June 2017. Also as detailed above, the payment originated after fraudulent authorization was obtained based on misrepresentations made by PEARSON and others on UAW vouchers. The senior UAW of?cials concealed the embezzlement by representing that the payments were advances for legitimate conference expenses surrounding the Region 5 Conference, and that the ultimate destination of the funds was the RPSH. 61. Agents have identified at least 40 subsequent payments totaling over $650,000 made by the RPSH (doing business as HHC TRS Portsmouth, LLC) to the outside vendors identi?ed above. These subsequent money?laundering transactions were made at the direction of senior UAW officials, including PEARSON and drawn off funds made available through the fraudulent ?advances.? These payments were undisclosed to the UAW and made to satisfy the lavish personal lifestyles of PEARSON, UAW Officials A, B, D, and other senior 35 Case ECF No. 1 filed 09/12/19 PageID.37 Page 37 of 40 UAW of?cials. A schedule ofthe subject payments originating from the RPSH bank account are listed below: Check 111 Check Date Pay or_ Payee Amount Pim? 45/17/2014 1 HHC 1115 Portsm?outh LLC 11olly'5 Homes 51.950.00 - 9/24/2014 HHC 1115 Portsmouth 2341.11 5119:1515 1 __57.500.00 - 10/14/2014 H11C IRS Portsn111uth.LLC. 1 Desert Princess 500. 00 1 - ?111115721114? 11111C1115Po1rtsmou1h 11C Holly'51111m_cs_ - 12/23/2014 11111. 1115 Portsmouth, LLC Desert Princess 544525.00 - 12/23/2014 1111C Portsmouth 11 11C Holly?s Homes $1.825.00 - 1/7/2015 HHC 1115 11911515551611?195? 55.175.00? - - .. 11/27/2515 HHC 1115 Pot-{smooth L11 1111111111 Canyon's 56.082.15_ - 2/11/2015 HHC 1115 Portsmouth, LLC Indian Canyon's 518.176.30 - 7/23/2015 HHC 1115 LLC Desert Princess 59.000.00 - 9/16/2015 HHC ?1115 Portsmouth, LLC Holly's Homes 51.625051 - 101120/2015 1111C TRS Portsmouth, 1101115 HonEngg?. 00' 1 - 1 1124/2015 HHC TRS Portsmouth, LLC Desert-Princess $47. _.619 89 - 12/15/2015 HHC 1115 Portsmouth. LLC Desert Princess 55,465.89 - 1/2/2016 1 11HC1115 Portsmouth,LLC Desert Princess 51.595.00 - 1/20/2016 HHC 1115 Portsmouth, LLC Gary 5616's 513,046.91 - 1/20/2016 HHC 1115 Portsmouth, LLC Johnny Costas 59.57005 - 1/20/2016 H11C1115 Portsmouth,LLC 11012111111: 511234.05, - 1/20/20111 1111C '1?R5Portsmouth. LLC Tindcr Box 52.63450 1 - - Poft5n1outh.LLC 110111cLC11caning 52. 105. 0(_11 - 252799.151 111111155 5.511541011111159 11111111111111.0111 _55 024 :5 - 1/27/2016 H11C1115Portsmot_1th. L1C Johnny Costas 52.1_50271 - 4/6/2016 1111c 1115 Portsmouth 1L1. nary 5.111- 5455.50 .. _14 1111C. 115$ 131(135?111?(111101 1111C Home C. 1caning $1.175.00 1' - 716/2016 11111?1115 Portsmouth 1no1111111111yons 4516.551. 10 1 - __44/2016 1 11111 41115 Ports11111i?h1 111? 11161?111614? 5114?1 - 7/6/2016 11111 1115 14111411111116.1111 1'1esertPr1neess 1 52. 34.62 1 - 11/2/20146'1 11?111111'115'P1145m?outh. Hollys Homes 530 375 00 - 1_115 12111113111111.1111 1 1 888.6410111 - 12/20/2016 1111C 11151111111511111111111110 11611611 5211115017} - LLC Gary Sale' 5 $13. 688. 66 1 4 - 12128179165 Portsmouth, lindcr Box 584. 95?: - 1/11/2017 1111C 1115 Portsmouth. LLC Johnny Costas 54 371 6.5 i - 1/111/21111 36 Case ECF No. 1 filed 09/12/19 PageID.38 Page 38 of 40 - 1/25/2017 HHC TRS Portsmouth, 1.1.(7 Johnny Costas $6,120.40 - 2/8/2017 HHC LLC Indian Canyon's $14,971.68 - 2/8/2017 1111C mew-emote, 1.1.0? LG Prime 531492530 - 7/24/2017 HHC ms? Portsmouth. LLC Holly's Homes $28,881.00 - 11/21/2017 Portsniouth, LLC Holly's Homes $5,585.00 - 11/21/2011; HHE Portsmouth, LLC Desert Princess - _1/22_/_2018 1-111C TRS Tindcr Box _s1.720.51_ - 1/26/2018 Portsmouth, LLC lndian Canyon's 319822.31 - ?1/26/2018 TRS Portsmouth, LLC Johnny Costas" - 1/26/2018 4 one Portsmouth, LLC Gary Salc's 1/1/2018 Portsmouth, Desert Princess TOTAL $660,565.76 62. Agents have also identi?ed similar payments originating from the ?nancial accounts of the Loews Coronado Resort and the Lodge of our Seasons. 0\ 3. As demonstrated above, the vouchers submitted by PEARSON and others to the UAW HQ at Solidarity House were not complete and accurate as they did not detail the true destinations of the UAW funds and the true purpose of the payments. 64. As stated above, 6 were directly involved in the recordkeeping and ?ling public ?nancial disclosure forms as required by the Both CW-S 6 had no knowledge ot?eigar, golf?equipment, green fee, and villa expenses that were paid for by the UAW as the vouchers submitted by PEARSON and others failed to report any of the expenses. CW-S signed the LM report and did not believe that the report accurately characterized the expenses. 37 Case ECF No. 1 filed 09/12/19 PageID.39 Page 39 of 40 Search Warrants 65. In August 2019, I and my partners from the FBI, IRS, and DOL executed multiple search warrant operations at the residences and work locations of senior UAW officials, including locations related to PEARSON. Those af?davits contained sections similar to this af?davit, but also contain additional sections and information, which I have not included in this particular application for a criminal complaint. During those searches, agents seized hundreds of high? end bottles of liquor, hundreds of golf shirts, multiple sets of golfclubs, a large quantity of cigars and related items, humidors, and tens ofthousands of dollars in cash. Agents seized a set of Titleist irons and hybrids consistent with those purchased at The Club at Porto Cima with UAW funds at the home of UAW Official A. In addition, Agents seized over $30,000 in cash from the residence of UAW Official A. Agents seized a similar set ofTitleist clubs, consistent with the clubs purchased with UAW funds at The Club at Porto Cima, located in office in Hazelwood, MO. Conclusion 66. Based on the forgoing, there is probable cause to believe that Vance Pearson has committed the following offenses: 29 U.S.C. 501(c), Embezzlement of Union Funds; 29 U.S.C. 439(b) and Filing False LM Reports and 38 Case ECF No. 1 filed 09/12/19 Page 40 of 40 Maintaining False Union Records; 18 U.S.C. 1341 1343, Mail and Wire Fraud; 18 U.S.C. 1956 1957, Money Laundering; 18 U.S.C. 2, Aiding and Abetting others in the commission ofthe same; and 18 U.S.C. 371, Conspiracy to commit the same. Respectfully sub ed, Andr?e?w Donohue Special Agent US. Department of Labor Office of Inspector General Subscribed and sworn to before me and signed in my presence and/or by reliable apt) DAVID R. GRAND United States Magistrate Judge electronic means. Dated: 15! 39