United States v. Colon

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Colon used his Indianapolis furniture store and a mall property rental business as a front to hide his criminal operation--buying large quantities of cocaine and heroin from Arizona and reselling the drugs to Indiana dealers. Convicted of drug conspiracy, money laundering, and making false statements in a bankruptcy proceeding, Colon was sentenced to 30 years’ imprisonment. The Seventh Circuit affirmed, rejecting Colon’s challenge to the sufficiency of the evidence of money laundering. Colon did not separate the financial aspects of his drug dealing from the financial aspects of his legitimate businesses. A reasonable jury could have inferred from the differential between Colon’s mall income and drug proceeds, the scope of his drug operation, his comingling of proceeds, and the overwhelming evidence showing that the mall was merely a front to enable and conceal his drug trafficking, that Colon was laundering money and that each cash deposit included at least some drug proceeds. While the district court erred in calculating his advisory sentencing range by applying leadership enhancements under U.S.S.G. 3B1.1, because Colon was only a middleman, the error was harmless. The sentencing transcript, read as a whole, demonstrates that the court would have imposed the same sentence regardless of the enhancements. View "United States v. Colon" on Justia Law