Everette Frederick Ratcliffe (“Eyerette”) and Dewayne Lee Ratcliffe (“Dewayne”) were convicted after a jury trial of conspiracy to import marijuana, importation of marijuana, and possession of marijuana with intent to distribute. 21 U.S.C. §§ 963, 952(a), and. 841(a)(1). Each defendant was sentenced to a five year prison term on each count, the sentences to run concurrently.
Construed in the light most favorable to the Government,
Glasser v. United States,
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The evidence further established that on March 27, 1975, Everette drove Dewayne and co-defendant Michael Hannifin to the Palm Springs Airport from which Dewayne and Hannifin flew to Mexico, picked up a load of marijuana and returned to the airstrip Meyers constructed. On their return, Everette met the plane and assisted in unloading it until police moved in and arrested Dewayne and Hannifin as they ran from the plane. Everette was arrested in the olive grove adjacent to the airstrip approximately 75 feet from the pick-up truck which had been used to unload the plane and which contained some of the imported marijuana.
At the close of the Government’s case, Wisdom was acquitted by the court. During the course of the trial, many statements by Wisdom concerning the construction of the airstrip and the plan to use it for importing marijuana were admitted through Meyers as statements by a co-conspirator made in furtherance of the alleged conspiracy between Wisdom, the two Ratcliffes, and others. When Wisdom was acquitted on the conspiracy count these statements became inadmissible against the other defendants. The two Ratcliffes now argue that these statements were highly prejudicial and that their admission violated their Sixth Amendment right to confront and cross-examine witnesses called against them. The trial judge instructed the jury not to consider Wisdom’s extra-judicial statements in determining the defendants’ guilt, but it is highly unlikely that the jury could be relied upon to follow such an instruction.
While the defendants argue that this inadmissible evidence tainted their convictions on all counts, the record reveals that there was ample evidence independent of Wisdom’s hearsay statements to substantiate the importation and possession counts. Accordingly, under this Circuit’s concurrent sentence rule,
Hirabayashi v. United States,
The Sufficiency of the Evidence
The defendants assert three errors with respect to their convictions on the importation and possession counts. First, they contend that the evidence adduced at trial was insufficient to sustain their convictions. We disagree. The record clearly establishes that Dewayne, under continual surveillance, piloted an aircraft from California to Mexico, landed in Mexico to pick up a load of marijuana, flew back to California, landed on a private airstrip constructed for the purpose of assisting the defendants in their smuggling operation, and was arrested while in the process of unloading the marijuana from the airplane. The record establishes that Everette purchased under a false name the airplane used in the smuggling operation, drove Dewayne and co-defendant Hannifin to the Palm Springs Airport on the day they left for Mexico, waited for their return at the airstrip in a pick-up truck, and assisted in unloading the marijuana from the airplane.
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Everette asserts that the identification testimony which placed him on the airstrip at the time the airplane landed was unclear, contradictory, and consequently insufficient. The testimony of the agents conducting surveillance of the airstrip, however, though conflicting in certain minor respects, was sufficient under the surrounding circumstances to establish that Everette was on the airstrip when the airplane landed and assisted in unloading the illegal cargo. Moreover, while mere proximity to illegal drugs, mere presence on the property where they are located, or mere association, without more, with persons who do control them is insufficient to support a finding of possession,
Arellanes v. United States,
Rehearing of Testimony
The defendants also argue that they were denied a fair trial by the trial judge’s informing the jury in his opening remarks that he would not permit them to rehear testimony. The court explained its action later as being an inducement to the jurors to pay close attention at trial. While this court declines to subscribe to the wisdom of such a policy in all situations, such matters are left to the sound discretion of the district court.
United States v. DePalma,
Entrapment
Finally, the defendants assert that their right to counsel was infringed by the district court’s refusal to permit them to argue an entrapment theory to the jury and that they were denied a fair trial by the court’s refusal to submit their asserted entrapment theory to the jury. The entrapment theory is premised on the contention that the Government, by instructing Meyers to proceed with construction of the airstrip knowing its intended illegal use, induced the defendants to commit a crime which without the Government’s involvement they would have been unable to commit.
The Government’s involvement in the defendants’ criminal activity can in no way be construed as an “inducement.” At most the evidence establishes that the government agents passively acceded to the defendants’ criminal activities, affording them an opportunity to carry out their smuggling operation. Mere assistance by government agents in the commission of a crime, however, is insufficient to raise the issue of entrapment.
United States v. Payseur,
Accordingly, the defendants’ convictions are affirmed.
