Complaint Review: Roniel Rodriguez IV & Benjamin Raul Alvarez - Coral gables
- Roniel Rodriguez IV & Benjamin Raul Alvarez 75 Valencia Ave Coral gables, USA
- Phone: (305) 444-5885
- Web: www.acfdlaw.com
- Category: Lawyers
Roniel Rodriguez IV & Benjamin Raul Alvarez James Miller, Stuart Kalb, Erik Silver Fraud upon the courts, criminal check fraud, elderly citizen abuse, Insurance scam Coral gables Florida
*Consumer Comment: Florida Bar Assocation
*REBUTTAL Owner of company: Walter Lista Indicted for Fraud
*Author of original report: Roniel Rodriguez IV Complaint, Benjamin Raul Alvarez, James Miller, Staurt Kalb, Erick Silver Complaint
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This report was posted on Ripoff Report on 03/14/2015 05:14 PM and is a permanent record located here: https://www.ripoffreport.com/reports/roniel-rodriguez-iv-benjamin-raul-alvarez/coral-gables-33134/roniel-rodriguez-iv-benjamin-raul-alvarez-james-miller-stuart-kalb-erik-silver-fraud-1215802. The posting time indicated is Arizona local time. Arizona does not observe daylight savings so the post time may be Mountain or Pacific depending on the time of year. Ripoff Report has an exclusive license to this report. It may not be copied without the written permission of Ripoff Report. READ: Foreign websites steal our content
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#3 Consumer Comment
Florida Bar Assocation
AUTHOR: Barbara - (U.S.A.)
SUBMITTED: Sunday, February 12, 2017
I urge you to file a complaint against those individuals with the Florida Bar and attached all the evidences you can gather as I am sure that there are more victims than yourself - If you do not take action the attorneys in question will not be reprimanded accordingly.

#2 REBUTTAL Owner of company
Walter Lista Indicted for Fraud
AUTHOR: Ron - (USA)
SUBMITTED: Thursday, May 19, 2016
UNITED STATES DISTRICT COU RT SOUTHERN DISTRICT OF FLORI DA
CASE NO. 18 U.S.C. §37116 • 2 0 3 18
18 u.s.c. § 152(7) --
18 U.S.C. § 152(1) C R b" M A R TJ N EZ
18 u.s.c. § 152(2)
18 U.S.C. § 98l(a)(l)(C)
UNITED STATES OF AMERICA
vs.
WALTER ALEXANDER LISTA,
Defendant.
INDICTMENT
The Grand Jury charges that:
GENERAL ALLEGATIONS
At all material times to this Indictment:
- Individuals who file for bankruptcy are known under federal bankruptcy law as
·'debtors.''
- Bankruptcy is a process by which debtors obtain relief from their "creditors." Creditors are i ndividuals, businesses, and government agencies who are owed money by the debtor. The bankruptcy process is designed to achieve the orderly distribution to creditors of avai lable assets of the debtor that are truthfully disclosed. The bankruptcy process also provides a fresh start to debtors by allowing them to obtain a "discharge" of debts, that is, an order that releases the debtors from further personal liability for specified types of debts.
- Debtors may file for one of several different types of bankruptcy, commonl y
referred to as chapters. One of these types of bankruptcy is known as "Chapter 7." A Chapter 7 bankruptcy is a liquidation bankruptcy. Under Chapter 7 of the Bankruptcy Code, a "trustee" is appointed by the Bankruptcy Court to administer the case by marshalling and then liquidating all assets of the debtor in order to maximize recovery for cred itors.
- The United States Trustee oversees the administration of all bankruptcy cases and private trustees, including Chapter 7 trustees.
- A debtor seeking shelter under bankruptcy laws must disclose all potential property and assets, whet her worthless or not, whether in the debtor's name or in another's name, to creditors, the Chapter 7 trustee, the U nited States Trustee, and, ultimately, the U nited States Bankruptcy Court. The assets of a debtor, includ ing all property or interests in property owned by the debtor, comprise what is called the '·bankruptcy estate." Debtors are also required to disclose all l iabi lities and debts owed to creditors.
- Debtors are also required to file a Statement of Financial Affairs ("SOFA") with their petition for bankruptcy. The SOFA requires debtors to "[l]ist all other property, other than property transferred in the ordinary course of the business or financial affairs of the debtor, transferred either absolutely or as security within two years immediately preced ing the commencement of this case." (Emphasis in original.) In submitting the SOFA, debtors must execute a "Declaration Under Penalty of Perjury by Individ ual Debtor," which provides the following declaration by the debtor: "I declare under penalty of perjury that I have read the answers contained in the foregoing statement of fi nancial affairs and my attachments thereto and that they are true and correct."
- 7. Precast Depot, Inc. was a Florida corporation with its princi pal place of business at 1 1 102 NW South River Drive, Medley, Florida. Defendant WALTER ALEXANDER
- Debtors are also required to file a Statement of Financial Affairs ("SOFA") with their petition for bankruptcy. The SOFA requires debtors to "[l]ist all other property, other than property transferred in the ordinary course of the business or financial affairs of the debtor, transferred either absolutely or as security within two years immediately preced ing the commencement of this case." (Emphasis in original.) In submitting the SOFA, debtors must execute a "Declaration Under Penalty of Perjury by Individ ual Debtor," which provides the following declaration by the debtor: "I declare under penalty of perjury that I have read the answers contained in the foregoing statement of fi nancial affairs and my attachments thereto and that they are true and correct."
2
LISTA was the Vice President of the company.
- Precast Manufacturing of Med ley, Inc. was a Florida corporation with its principal place of business at 1 1 100 NW South River Drive, Medley, Florida. A co-conspirator was the President of the company.
- Fern Street Properties, L.L.C. was a Florida limited liability company with its pri ncipal office at 12080 S.W. 127 Avenue, Miami, Florida. WALTER ALEXANDER LISTA was one of the company's Members.
- On or about May 30, 2013, in Miami-Dade County, in the Southern District of Florida , WALTER ALEXANDER LISTA filed a personal Chapter 7 bankruptcy as debtor captioned In re: WALTER ALEXANDER LISTA, Bankruptcy Case No. 13-22662-BKC-AJC, in the United States Bankruptcy Court for the Southern District of Florida (the "Bankruptcy Filing"). In his Bankruptcy Filing, W.A. LISTA claimed that he had $3,476,085.36 in assets and $9,417,695.27 in liabilities.
- Fern Street Properties, L.L.C. was a Florida limited liability company with its pri ncipal office at 12080 S.W. 127 Avenue, Miami, Florida. WALTER ALEXANDER LISTA was one of the company's Members.
1 1. On or about June 20, 2013, in Miami-Dade County, in the Southern District of Florida, WALTER A LEXANDER LISTA amended the Statement of Financial Affai rs of his May 14, 2013 bankruptcy fil ing (the "First Amended Fil i ng"). In t he First Amended Filing,
W.A. LISTA claimed liabilities owed to creditors of approximately $10,482,726.07. W.A. LIST A also claimed available, non-exempt assets of approximately $2,515,038.00.
- On or about June 20, 2013, in Miami-Dade County, in the Southern District of Florida, WALTER ALEXANDER LISTA amended Schedule B of his May 14, 2013 bankruptcy filing (the "Second Amended Fi ling"). In the Second Amended Filing, W.A. LISTA claimed l iabi lities owed to creditors of approximately $10,533,497.04. W.A. LISTA also claimed available, non-exempt assets of approximatel y $2,515,038.00.
3
- On or about July 9, 2013, in Miami-Dade County, in the Southern District of Florida, WALTER ALEXANDER LISTA again amended the Statement of Financial Affairs of his May 14, 201 3 bankruptcy filing (the ·'Third Amended Fi l ing"). In the Third Amended Filing,
W.A. LISTA claimed liabi lities owed to creditors of approximately $10,533,497.04 and available, non-exempt assets of approximately $2,515,038.00.
- On or about July 26, 2013, in Miami-Dade County, in the Southern District of Florida, WALTER ALEXANDER LISTA again amended Schedule B of his May 14, 201 3 bankruptcy filing (the "Fourth Amended Fi ling'}
- On or about February 21 , 2014, i n M iami-Dade County, i n the Southern District of Florida, WALTER ALEXANDER LISTA filed a Motion to Waive Discharge.
- On or about February 25, 2014, in Miami-Dade County, in the Southern District of Florida, the bankruptcy court granted WALTER ALEXANDER LISTA's Motion to Waive Discharge.
COUNT 1
Conspiracy to Fraud ulently Conceal and Transfer Property In Connection With a Case Under Title 11
(18 u.s.c. § 371)
- Paragraphs 1 through 16 of the General Allegations section of this Indictment are re-alleged and incorporated by reference as though fully set forth herein.
- From i n or around March 201 2, through in or around May 201 3, i n Miami-Dade County, in the Southern District of Florida, and elsewhere, the defendant,
WALTER ALEXANDER LISTA,
did knowingly and wi llfully combi ne, conspire, confederate, and agree with other persons k nown and unknown to the Grand Jury, to commit an offense against the United States, that is, in a
4
personal capacity and as agent of another person, in contemplation of a case under title 1 1 by WALTER ALEXANDER LISTA, and with the intent to defeat the provisions of title 1 1 , to knowingly and fraudulently transfer and conceal, and cause to be transferred and concealed, the property of W.A. LISTA, that is: (i) a 1997 Jeep Wrangler; and (ii) a thirty-four foot boat named the "Isabella," in violation of Title 18, United States Code, Section 152(7).
PURPOSE OF THE CONSPIRACY
It was the purpose of the conspiracy for the defendant and his co-conspirators to falsely and fraudulently transfer and conceal property and to falsely and fraudulentl y declare bankruptcy to avoid paying moneys owed to creditors of WALTER ALEXANDER LISTA.
OVERT ACTS
In furtherance of the conspiracy, and to accomplish the purpose and object thereof, at least one of the co-conspirators committed and caused to be committed, in the Southern District of Florida, and elsewhere, at least one of the following overt acts, among others:
- On or about May 3, 2013, WALTER ALEXANDER LISTA transferred title of the Jeep Wrangler to a co-conspirator.
- On or about May 8, 2013, WALTER ALEXANDER LISTA transferred title of the thirty-four foot boat named the "Isabella'' to a co-conspirator.
- On or about May 30, 2013, WALTER ALEXANDER LISTA failed to disclose the transfer of the Jeep Wrangler to a co-conspirator, in the Bankruptcy Fi ling.
- On or about May 30, 2013, WALTER ALEXANDER LISTA failed to disclose the transfer of the Isabella to a co-conspirator, i n the Bankruptcy Fi ling.
- On or about J une 20, 2013, WALTER ALEXANDER LISTA failed to disclose the transfer of the Jeep Wrangler to a co-conspirator, in the First Amended Filing.
5
- On or about June 20, 2013, WALTER ALEXANDER LISTA failed to disclose the transfer of the Isabella to a co-conspirator, in the First Amended Filing.
- On or about June 20, 2013, WALTER ALEXANDER LISTA failed to disclose the transfer of the Jeep Wrangler to a co-conspirator, in the Second Amended Filing.
- On or about June 20, 2013, WALTER ALEXANDER LISTA failed to disclose the transfer of the Isabella to a co-conspirator, in the Second Amended Filing.
- On or about July 9, 2013, WALTER ALEXANDER LISTA failed to disclose the transfer of the Jeep Wrangler to a co-conspirator, in the Third Amended Filing.
- On or about J ul y 9, 201 3, WALTER ALEXANDER LISTA failed to disclose the transfer of the Isabella to a co-conspirator, in the Third Amended Filing.
- On or about June 20, 2013, WALTER ALEXANDER LISTA failed to disclose the transfer of the Jeep Wrangler to a co-conspirator, in the Second Amended Filing.
1 1. On or about July 9, 2013, WALTER ALEXANDER LISTA falsely testified under oath in a 341 bankruptcy meeting conducted by counsel for the bankruptcy trustee that the Jeep Wrangler was never titled in his name.
- On or about July 26, 2013, WALTER ALEXANDER LISTA failed to disclose the transfer of the Jeep Wrangler to a co-conspirator, in the Fourth Amended Fi l i ng.
- On or about July 26, 2013, WALTER ALEXANDER LISTA failed to d isclose the transfer of the Isabella to a co-conspirator, in the Fourth Amended Fi ling.
All in violation of Title 18, United States Code, Section 371.
COUNT 2
Fraudulent Transfer and Concealment of Property in Contemplation of a Case Under Title 1 1
(18 u.s.c. § 152(7))
On or about March 26, 2012, through on or about March 13, 201 3, in Miami-Dade County, in the Southern District of Florida, and elsewhere, the defendant,
WA LTER ALEXANDER LISTA,
6
in a personal capacity and as agent of another person, in contemplation of a case under title 1 1 by WALTER ALEXANDER LISTA, and with the intent to defeat the provisions of title 1 1, did knowingly and fraudulently transfer and conceal, and cause to be transferred and concealed, the property of W.A. LISTA, that is approximately $41,200 from his personal checking account at
U.S. Century Bank Account to a bank account in the name of Precast Manufacturing of Medley, Inc. at Apollo Bank, in violation of Title 18, United States Code, Sections 152(7) and 2.
COUNT 3
Fraudulent Transfer and Concealment of Property in Contemplation of a Case Under Title 11
(18 u.s.c. § 152(7))
On or about May 3, 2013, in Miami-Dade County, in the Southern District of Florida, and elsewhere, the defendant,
WALTER ALEXANDER LISTA,
in a personal capacity and as an agent of another person, in contemplation of a case under title 1 1 by WALTER ALEXANDER LISTA, and with the intent to defeat the provisions of title 1 1, did knowingly and fraudulently transfer and conceal, and cause to be transferred and concealed, the property of W.A. LISTA, that is, a 1997 Jeep Wrangler, in violation of Title 18, United States Code, Sections 152(7) and 2.
COUNT 4
Fraudulent Transfer and Concealment of Property in Contemplation of a Case U nder Title 11
(18 u.s.c. § 152(7))
On or about May 8, 2013, in Miami-Dade County, in the Southern District of Florida, and elsewhere, the defendant,
WALTER ALEXANDER LISTA,
7
in a personal capacity and as agents of another person, in contemplation of a case under title 1 1 by WALTER ALEXANDER LISTA, and with the intent to defeat the provisions of title 1 1, did knowingl y and fraudulently transfer and conceal, and cause to be transferred and concealed, the property of W.A. LISTA, that is, a thirty-four foot boat named the "Isabella," in violation of Title 18, United States Code, Sections 152(7) and 2.
COUNT 5
Concealment of Property in Connection with a Case Under Title 11 (18 u.s.c. § 152(1))
From on or about May 30, 2013, continuing through on or about February 21, 2014, in Miami-Dade County, in the Southern District of Florida, and elsewhere, the defendant,
WALTER ALEXANDER LISTA,
in connection with a case under title 1 1, did knowingly and fraudulently conceal and cause to be concealed property belonging to the estate of the debtor, In re: WALTER ALEXANDER LISTA, Bankruptcy Case No. 13-22662-BKC-AJC, filed in the United States Bankruptcy Court for the Southern District of Florida, from creditors, the trustee, the United States Trustee, and the United States Bankruptcy Court. that is, his twenty percent (20%) ownership interest in Fern Street Properties, L.L.C., in violation of Title 18, United States Code, Sections 152(1) and 2.
COUNT 6
False Oath and Account in Relation to a Case Under Title 11 (18 u.s.c. § 152(2))
On or about May 30, 2013, i n Miami-Dade County. in the Southern District of Florida, and elsewhere, the defendant,
WALTER ALEXANDER LISTA,
knowingly and fraudulently made a false oath and account i n and in relation to any case under title 1 1, In re: WALTER ALEXANDER LISTA, Bankruptcy Case No. 13-22662-BKC-AJC,
8
filed in the United States Bankruptcy Court for the Southern District of Florida, by failing to declare in Schedule B that he: (i) owned a 1997 Jeep Wrangler, (ii) owned a thirty-four foot boat named the "Isabella," and (iii) had partnership or joint venture interests in Fem Street Properties, L.L.C., when in truth and in fact, and as the defendant then and there well knew, he: (i) owned a 1997 Jeep Wrangler, (ii) owned a thirty-four foot boat named the "Isabella," and (i ii) had partnershi p or joint venture interests in Fern Street Properties, L.L.C., i n violation of Title 18, United States Code, Section 152(2).
COUNT 7
False Oath and Account in Relation to a Case Under Title 1 1 (18 u.s.c. § 152(2))
On or about May 30, 201 3, i n M iami-Dade County, in t he Southern District of Florida, and elsewhere, the defendant,
WALTER ALEXANDER LISTA,
knowingly and fraudulently made a false oath and account in and in relation to any case under title 11, In re: WALTER ALEXANDER LISTA, Bankruptcy Case No. 13-22662-BKC-AJC, filed in the United States Bankruptcy Court for the Southern District of Florida, by failing to declare in the Statement of Financial Affairs that, from on or about March 26, 2012, through on or about March 13, 2013, he transferred approximately $41,200 from his personal checking account at U.S. Century Bank to an account at Apollo Bank in the name of Precast Manufacturing of Medley, Inc., when in truth and in fact, and as the defendant then and there well knew, from on or about March 26, 2012, through on or about March 13, 2013, he transferred approximately $41 ,200 from his personal checking account at U.S. Century Bank to an account at Apollo Bank in the name of Precast Manufacturing of Med ley, I nc., i n violation of Title 18, United States Code, Section 152(2).
9
COUNT 8
False Oath and Accou nt in Relation to a Case Under Title 11
(18 u.s.c. § 152(2))
On or about May 30, 2013, in Miami-Dade County, in the Southern District of Florida, and elsewhere, the defendant,
WALTER ALEXANDER LISTA,
knowingl y and fraudulentl y made a false oath and account in and in relation to any case under title 1 1, In re: WALTER ALEXANDER LISTA, Bankruptcy Case No. 13-22662-BKC-AJC, filed in the U nited States Bank ruptcy Court for the Southern District of Florida, by fail i ng to declare in the Statement of Financial Affairs that he was an officer, director, partner or managing executive of Precast Depot, Inc., when in truth and in fact, and as the defendant then and t here well knew, he was an officer, director, partner or managing executive of Precast Depot, Inc., in violation of Title 18, United States Code, Section 152(2).
COUNT 9
False Oath and Account in Relation to a Case U nder Title 11
(18 u.s.c. § 152(2))
On or about June 20, 2013, in Miami-Dade County, in the Southern District of Florida, and elsewhere, the defendant,
WALTER ALEXANDER LISTA,
knowingly and fraudulently made a false oath and account in and in relation to any case under tit le 1 1, In re: WALTER ALEXANDER LISTA, Bankruptcy Case No. 13-22662-BKC-AJC, filed in the United States Bankruptcy Court for the Southern District of Florida, by failing to declare in the Statement of Financial Affairs of the First Amended Filing that, from on or about March 26, 2012, through on or about March 13, 2013, he transferred approximately $41,200 from his personal checki ng account at U.S. Century Bank to an account at Apollo Bank in the
10
name of Precast Manufacturing of Medley, Inc., when in truth and in fact, and as the defendant then and there well knew, from on or about March 26, 2012, through on or about March 13, 201 3, he transferred approximately $41 ,200 from his personal checking account at U.S. Century Bank to an account at Apollo Bank in the name of Precast Manufacturi ng of Med ley, Inc., in violation of Title 18, United States Code, Section 152(2).
COUNT 10
False Oath and Accou nt in Relation to a Case Under Title 11 (18 u.s.c. § 152(2))
On or about June 20, 2013, in Miami-Dade County, in the Southern District of Florida, and elsewhere, the defendant,
WALTER ALEXANDER LISTA,
knowingly and fraudulently made a false oath and account in and in relation to any case under title 1 1, In re: WALTER ALEXANDER LISTA, Bankruptcy Case No. 13-22662-BKC-AJC, filed in the United States Bankruptcy Court for the Southern District of Florida, by failing to declare in the Schedule B of the Second Amended Filing that he: (i) owned a 1997 Jeep Wrangler, (ii) owned a thirty-four foot boat named the "Isabella," and (iii) had partnership or joi nt venture i nterests in Fem Street Properties, L.L.C., when in truth and in fact, and as the defendant then and there well knew, he: (i) owned a 1997 Jeep Wrangler, (ii) owned a thirty-four foot boat named the "Isabella," and (ii i ) had partnership or joint venture i nterests i n Fem Street Properties, L.L.C., in violation of Title 18, United States Code, Section 152(2).
COUNT 11
False Oath and Accou nt in Relation to a Case U nder Title 11 (18 u.s.c. § 152(2))
On or about J uly 9, 2013, in Miami-Dade County, in the Southern District of Florida, and elsewhere, the defendant,
1 1
WALTER ALEXANDER LISTA,
knowingl y and fraudulently made a false oath and account in and in relation to any case under title 1 1, In re: WALTER ALEXA NDER LISTA, Bankruptcy Case No. 13-22662-BKC-AJC, filed in the United States Bankruptcy Court for the Southern District of Florida, by failing to declare in the Statement of Financial Affairs of the Third Amended Filing that, from on or about March 26, 2012, through on or about March 13, 2013, he transferred approximatel y $41,200 from his personal checking account at U.S. Century Bank to an account at Apollo Bank in the name of Precast Man ufacturi ng of Medley, Inc., when in truth and in fact, and as the defendant then and there well knew, from on or about March 26, 2012, through on or about March 13, 2013, he transferred approximately $41 ,200 from his personal checking account at U.S. Century Bank to an account at Apollo Bank in the name of Precast Manufacturing of Medley, Inc., in violation of Title 18, United States Code, Section 152(2).
COUNT 12
False Oath and Account in Relation to a Case Under Title 1 1 (18 u.s.c. § 152(2))
On or about July 26, 2013, in Miami-Dade County, in the Southern District of Florida, and elsewhere, the defendant,
WALTER ALEXANDER LISTA,
knowingly and fraudulently made a false oath and account in and in relation to any case under title 1 1, In re: WALTER ALEXANDER LISTA, Bankruptcy Case No. 13-22662-BKC-AJC, filed in the U nited States Bank ruptcy Court for the Southern District of Florida, by fai ling to declare in Schedule B of the Fourth Amended Filing that he: (i) owned a 1997 Jeep Wrangler,
(ii) owned a thirty-four foot boat named the "Isabella," and (ii i) had partnershi p or joint venture interests in Fem Street Properties, L.L.C., when in truth and in fact, and as the defendant then
12
and there well knew, he: (i) owned a 1997 Jeep Wrangler, (ii) owned a thirty-four foot boat named the "Isabella," and (iii) had partnership or joint venture interests in Fem Street Properties, L.L.C., in violation of Title 18, U nited States Code, Section 152(2).
FORFEITURE ALLEGATIONS
- The allegations of this Ind ictment are re-alleged and by this reference fu lly incorporated herein for purposes of alleging criminal forfeiture to the United States of America of certain property in which the defendant has an interest.
- Upon conviction of a violation of Title 18, United States Code, Section 152, as alleged in this Indictment, the defendants, WALTER ALEXANDER LISTA and A CO- CONSPI RATOR, shall forfeit to the United States of America any property, real or personal, which constitutes or is derived from proceeds traceable to such violation.
All pursuant to Title 18, United States Code, Section 981 (a)(l )(C) and the procedures set forth in Title 21 , U nited States Code, Section 853, made applicable by Title 28, United States Code, Section 2461 (c).
A TRUE BILL
l JvvL
WIFREDO A. FERRER (
UN ITED STATES ATTORNEY
SBORN
ASSISTANT UNITED STATES ATTORNEY
13
Case 1:16-cr-20318-JEM DosomrrmEiN6oreREKl1001fit!SDttwcket05/06/2016 Page 14 of 15
UNITED STATES OF AMERICA
vs.
WALTER ALEXANDER LISTA,
Defendant.
CERTIFICATE OF TRIAL ATTORNEY*
Superseding Case Information:
Court Division: (Select One) New Defendant(s)
N um ber of New Defendants
Yes No
M iam i _ Key West
FTL WPB FTP
I do hereby ce1iify that:
Total n umber of counts
- . I have carefully considered the allegations of the ind ictment, the n umber of defendants, the n um ber of probable witnesses and the legal complexities of the Ind ictment/Information attached hereto.
- I am aware that the information supplied on this statement wi l l be rel ied u pon by the Judges of this Court in setting their calendars and scheduling criminal trials under the mandate of the Speedy Trial Act, Title 28 U .S.C. Section 3161 .
- I nterpreter: (Yes or No) No
List language and/or dialect
- This case wi ll take 6-7 days for the part ies to try.
- Please check appropriate category and type of offense l isted below:
ICheck only one) (Check only one)
I 0 to 5 days Petty
II 6 to 10 days X M inor
III 1 1 to 20 days
IV 21 to 60 days
V 6 I days and over
M isdem.
Felony X
- Has this case been previously filed in this District Court? (Yes or No) No If yes:
|
Related M iscel laneous n um bers: Defendant(s) i n federal custody as of
Defendant(s) i n state custody as of Ru le 20 from the District of
Is th is a potentia l death penalty case? (Yes or No) No
- Does th is case originate from a matter pend ing i n the Northern Region of the U.S. Attorney's Office prior to October 14, 2003? Yes No_X _
- Does th is case originate from a matter pend i ng i n the Central Regio .S. Attorney's Office
prior to Septem ber I , 2007? Yes No---1--,
*Penalty Sheet(s) attached REV 4/8/08
Case 1:16-cr-20318-JEM Document 3 Entered on FLSD Docket 05/06/2016 Page 15 of 15
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF FLORIDA
PENALTY SHEET
Defendant's Name: WALTER ALEXANDER LISTA
Case No:
Count #: 1
Conspiracy to fraudulently transfer and conceal property in connection with a case under Title 1 1 Title 18, United States Code, Section 371
*Max. Penalty: 5 Years' Imprisonment Counts #: 2-4
Fraudulent transfer and concealment of property in connection with a case under Title 11 Title 18, United States Code, Section 152(7)
*Max. Penalty: 5 Years' Imprisonment Count #: 5
Concealment of property in connection with a case under Title 1 1 Title 18, United States Code, Section 152(1 )
*Max. Penalty: 5 Years' Imprisonment Counts #: 6-12
False oath and account in relation to a case under Title 1 1 Title 18, United States Code, Section 152(2)
*Max. Penalty: 5 Years' Imprisonment
*Refers only to possible term of incarceration, does not include possible fines, restitution, special assessments, parole terms, or forfeitu res that may be applica ble.

#1 Author of original report
Roniel Rodriguez IV Complaint, Benjamin Raul Alvarez, James Miller, Staurt Kalb, Erick Silver Complaint
AUTHOR: - ()
SUBMITTED: Saturday, March 21, 2015
Miami Attorneys commit fraud upon the courts and have numerous Florida Bar complaints filed against them.
Insider Trading crimes in the Southern Bankruptcy Court


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