OPINION
Charles Roy Degan was convicted under the federal murder-for-hire statute, 18 U.S.C. § 1958(a), for causing another individual to travel in interstate commerce with the intent to murder Degan’s ex-wife in exchange for money. He was sentenced to seventy months of imprisonment. De-gan appeals, claiming that (1) the government failed to establish the “jurisdictional” prong of the charge, (2) the district court improperly instructed the jury, and (3) the government failed to prove that Degan promised to pay anything to have the murder committed. For the reasons set forth below, we AFFIRM Degan’s conviction.
I. BACKGROUND
At the end of 1995, Degan, a resident of Memphis, Tennessee, met an individual named James Lee Noel, also a resident of Memphis, through a mutual friend. After knowing Noel for only three weeks, Degan asked Noel to consider killing Degan’s ex-wife in exchange for $5,000. In response to Degan’s request, Noel testified that he laughed and did not pay any attention to the proposal.
Thereafter, Noel encountered financial problems with the business he was running in Memphis and eventually moved to Picayune, Mississippi. On June 4, 1997, Noel telephoned Degan in an attempt to locate the mutual friend who had introduced them. During the conversation, De-gan asked Noel whether he would come to Memphis to discuss the possibility of killing Degan’s ex-wife in exchange for $5,000. Degan also offered to send Noel $100 to assist him with his travel expenses. After receiving the $100, Noel testified that he came to Memphis on June 9, 1997, both because of Degan’s request and because Noel had a scheduled court proceeding relating to his own divorce.
After arriving in Memphis, Noel contacted the Federal Bureau of Investigation because of his belief that Degan was serious about having him commit a murder. The FBI fitted Noel with a recording device. While wearing the device, Noel met with Degan. In discussing the proposed murder, Degan confirmed that he intended to pay Noel $5,000 for his services. Degan gave Noel directions to his ex-wife’s house in Florida and described the residence and *556 car to him. In addition, Degan instructed Noel how to use a shotgun in such a way that the ballistics and powder burns would be untraceable and directed Noel to take a spare license, plate for concealment purposes. They agreed to meet again on June 14,1997, the date Noel had preselected for his purported trip to the house of Degan’s ex-wife to accomplish the murder.
On June 14, in conformity with their agreement, Noel arrived in Memphis to meet with Degan. At this time, Noel told Degan that he had purchased a gun. De-gan again described to Noel the route to the house of Degan’s ex-wife in Florida, directed Noel not to speed, gave him $50 to further assist with his travel expenses, and told Noel to make sure that the killing did not occur around the children. Shortly after this second meeting, Degan was arrested by the FBI. He was subsequently indicted and convicted of violating 18 U.S.C. § 1958(a).
II. ANALYSIS
A. The evidence was sufficient to establish that Degan caused Noel to travel in interstate commerce for the purpose of killing Degan’s ex-wife
Degan first argues that the district court lacked subject matter jurisdiction over the case because the government failed to show a nexus between interstate commerce and the crime charged. This argument lacks merit. Whether or not the government makes out the interstate commerce element of an offense has no effect on the district court’s subject matter jurisdiction.
See Williamson v. United States,
No. 96-2248,
The standard of review for a claim based on the insufficiency of the evidence is whether, after reviewing the evidence in the light most favorable to the government, any rational trier of fact could have found the essential elements of the crime charged beyond a reasonable doubt.
See Jackson v. Virginia,
Degan was convicted of violating 18 U.S.C. § 1958(a), which provides as follows:
Whoever travels in or causes another (including the intended victim) to travel in interstate or foreign commerce, or uses or causes another (including the intended victim) to use the mail or any facility in interstate or foreign commerce, with intent that a murder be committed in violation of the laws of any State or the United States as consideration for the receipt of, or as consideration for a promise or agreement to pay, anything of pecuniary value ... shall be fined under this title or imprisoned for not more than ten years, or both; and if personal injury results, shall be fined under this title or imprisoned for not more than twenty years, or both; and if death results, shall be punished by death or life imprisonment, or shall be fined not more than $250,000, or both.
In light of the statute, the district court charged the jury that the government must prove beyond a reasonable doubt that:
A. Degan caused Jimmy Noel to travel in interstate commerce from Mississippi to Tennessee;
*557 B. Degan caused such travel with the intention that a murder be committed in violation of the laws of any state or of the United States; and
C. As consideration for this murder there would be the receipt of or a promise to pay anything of pecuniary value.
The essence of Degan’s argument is that Noel traveled from Picayune, Mississippi to Memphis, Tennessee on June 9, 1997 to attend a court proceeding, not to meet with Degan about killing his ex-wife. In support of this proposition, he cites
United States v. Myerson,
Degan’s argument is unavailing, however, because “[t]he fact that travel is motivated by two or more purposes, some of which lie outside the ambit of the Travel Act, will not preclude conviction under the Act if the requisite ... intent is also present.”
United States v. Gooding,
Degan also claims that Noel became a paid federal agent after Noel met with the FBI. He thus argues that he could not have caused Noel to travel from Mississippi to Tennessee on June 14, 1997 for an illegal purpose because this would be tantamount to allowing the government to create federal jurisdiction. Degan cites
United States v. Archer,
In addressing Degan’s argument, it should first be pointed out that he was not charged with conspiracy, but rather with a substantive charge under 18 U.S.C. § 1958. Moreover, Noel testified that pri- or to his arrival in Memphis on June 9, 1997, Degan had asked him to commit the murder. Because Degan was the one who initiated the conversation about murdering his ex-wife, and asked Noel to do the killing with the knowledge that Noel lived in Mississippi, it is irrelevant that Noel was a government agent at the time of the June 14 trip.
See United States v. Smith,
B. The district court did not err regarding its instructions to the jury
In a related argument, Degan claims that the district court committed *558 reversible error when it refused to issue the following proposed jury instruction:
The court instructs the jury that one cannot “cause” a government agent to commit an illegal act. Since Mr. Noel was acting as a government agent, he could not have lawfully been “caused” to commit an illegal act. Therefore, you are to return a verdict of “not guilty.”
A district court’s denial of a proposed jury instruction “is reversible only if that instruction is (1) a correct statement of the law, (2) not substantially covered by the charge actually delivered to the jury, and (3) concerns a point so important in the trial that the failure to give it substantially impairs the defendant’s defense.”
United States v. Frost,
Degan’s argument lacks merit because his proposed jury instruction did not accurately state the law. The federal murder-for-hire statute criminalizes those who induce others to travel in interstate commerce to commit murder, rather than actually “cause” others to commit an illegal act, as Degan’s instruction states. In addition, the instruction presumes without qualification that Noel was a government agent, whereas he was clearly not a government agent when he first crossed the state line on June 9, 1997. Finally, the instruction’s conclusion mandating that the jury return a verdict of “not guilty” was obviously prejudicial to the government. Because of these errors, the district court properly rejected Degan’s proposed jury instruction.
Continuing his “jurisdictional” attack, Degan argues that the district court gave the jury an improper charge in response to the jury’s question regarding whether the government must prove that Degan caused both trips (June 9 and June 14) to be made by Noel or only one of them. The district court did not directly answer the jury’s question, but instead told the jury that it must find that Degan caused Noel to travel from Mississippi to Tennessee with the intent to have Noel kill his ex-wife. Degan did not object to this charge at trial. On appeal, Degan claims that, based on the district court’s charge, the jury might have erroneously found the interstate element based on Noel’s June 14 trip. By that time, Degan contends, Noel was a government agent allegedly incapable of establishing the jurisdictional element.
When a defendant fails to object to a jury instruction at trial, the instruction is reviewed for plain error.
See United States v. Sanderson,
In this case, the district court did nothing more than restate that the government must prove every element of the offense charged, including the element that Degan caused Noel to travel from Mississippi to Tennessee with the intent to commit a murder. As discussed above, the jury was properly allowed to consider Noel’s June 14 trip in determining whether the government had met its burden with respect to the interstate element. In any event, De-gan has failed to show a fundamental miscarriage of justice as a result of the district court’s charge to the jury.
C. There is sufficient evidence in the record that Degan promised to pay Noel $5,000 to murder his ex-wife
Finally, Degan argues that the government did not present any evidence that he promised to pay anything of value to Noel for agreeing to murder his ex-wife. To the contrary, Noel testified that Degan had promised to pay Noel $5,000 if he would commit the murder. Noel’s testimony was confirmed by Degan in the *559 taped conversations that were played before the jury. Consequently, Degan’s argument lacks merit.
III. CONCLUSION
For all of the reasons set forth above, we AFFIRM Degan’s conviction.
