United States v. Robinson, No. 13-3253 (8th Cir. 2015)
Annotate this CaseIn 2006, Robinson opened Paideia Academy, a non-profit charter St. Louis charter school. State and federal monies, disbursed through the Missouri Department of Elementary and Secondary Education, exclusively funded the school, and were restricted to operating kindergarten through eighth grade. Robinson directed $242,533 from Paideia to develop a pre-kindergarten child care center. Robinson also worked, beginning in 1990, purporting to inspect parking meters. On weekly timesheets, he always recorded 40 hours, regardless of holidays, and even after parking meter services were outsourced. In 2009, the FBI investigated his “employment,” interviewing former Parking Division employees and watching Robinson’s car. They reasonably suspected that Robinson did not inspect meters. The agents installed, without a warrant, a GPS device on his car while parked on a public street. Tracking confirmed that Robinson did not inspect meters. The government charged Robinson with Paideia-related wire fraud, 18 U.S.C. 1343; two Paideia-related counts of federal program theft, 18 U.S.C. 666(a)(1)(A); and five parking-related counts of federal program theft. The district court denied Robinson’s motion to suppress the GPS evidence, motion to sever counts 1-3 from counts 4-8, and Batson objection to the jury’s composition. At trial, the court rejected his challenges to certain testimony and parking-related jury instructions. The court sentenced him to 24 months’ imprisonment and awarded $419,333 in restitution. The Eighth Circuit affirmed
Sign up for free summaries delivered directly to your inbox. Learn More › You already receive new opinion summaries from Eighth Circuit U.S. Court of Appeals. Did you know we offer summary newsletters for even more practice areas and jurisdictions? Explore them here.
Court Description: Criminal case - Criminal law. Agents could reasonably rely on binding Supreme Court precedents permitting them to attach a tracking device to defendant's vehicle at the time they did so, and the GPS evidence in the case was properly admitted; counts alleging two different schemes for federal programs theft were not misjoined, as the evidence overlapped and evidence from each scheme would have been admissible in the separate trial of the other scheme; further, the court instructed the jury that each offense was a separate or different crime, thereby minimizing any prejudice; Batson claim rejected; instructions on theft concerning programs receiving federal funds were not erroneous, and the court properly rejected defendant's proposed instructions as they did not correctly state the applicable law; evidence was sufficient to support defendant's conviction for accepting wages for work not performed at his parking meter inspection job for the City of St. Louis as he was agent of the City government which received federal funds; below-Guidelines sentence was substantively reasonable; restitution order was not an abuse of discretion.
Some case metadata and case summaries were written with the help of AI, which can produce inaccuracies. You should read the full case before relying on it for legal research purposes.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.