116.
Sample Information -- Prescription Drug Marketing Act -- Institutional
Diversion
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THE UNITED STATES ATTORNEY CHARGES:
COUNT ONE
On or about April 12, 1991, within the Western District of New
York, the defendant, XXXX X. XXXXXXXX, did knowingly sell and offer
to
sell a quantity of prescription drugs within the meaning of Title
21,
United States Code, Sections 353(b)(1)(B) and (C), which drugs had
been
purchased by the Erie County Medical Center, a public hospital
located
in Buffalo, New York.
All in violation of 21 U.S.C. §§ 353(c)(3)(A)(ii)(I),
331(t) and 333(b)(1).
COUNT TWO
On or about April 4, 1990, within the Western District of New
York,
the defendant, XXXXX X. XXXXXXXX, did willfully and knowingly make
and
subscribe a U.S. Individual Income Tax Return, Form 1040, for the
calendar year 1989, which was verified by a written declaration
that it
was made under the penalties of perjury and was filed with the
Internal
Revenue Service Center at Andover, Massachusetts, which said
Individual
Income Tax Return, Form 1040, he did not believe to be true and
correct
as to every material matter in that the said return reported
adjusted
gross income for the calendar year of 1989 in the amount of
$30,612.74,
whereas, as he then and there well knew and believed, said return
was
false because he had additional taxable income of at least
$31,315.99
during the calendar year of 1989, which the defendant knew to be a
material amount of income and which he intentionally failed to
report on
said return, in violation of the law.
In violation of Title 26, United States Code, Section
7206(1).
________________________
PATRICK H. NeMOYER
United States Attorney
Western District of New York
[cited in Civil Resource Manual 113]
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