Following our remand in
United States v. Brown,
On October 28,1992, at about 10:20 a.m., a man wearing a wig entered the First National Bank of Annapolis, Missouri. Once inside, he pulled a stocking over his face, displayed a gun and confirmed he was robbing the bank. A bank employee went to the vault and filled the robber’s bag with approximately $29,-400.00 in cash. The day after the robbery, a boy found two duffel bags containing bundles of money, a gun, a wig and stockings, and notified the authorities. The next day, an officer was monitoring the site when he saw Brown approach the bags. After Brown opened one of the bags, he was arrested.
In the previous appeal, we reversed Brown’s convictions because the district court failed to give a requested accessory-after-the-faet instruction.
Brown,
On remand, Brown again moved to sever the possession count from the bank robbery counts and the district court denied the motion. At trial, the government stipulated that Brown had five felony convictions but did not disclose the nature of the offenses. In addition, the government presented the testimony of the officer who arrested Brown as he attempted to retrieve the bags, four bank employees who had identified Brown as the robber shortly after the robbery from a photographic display and again identified him in court, and a traffic flagger who identified Brown as the driver of a truck she saw shortly before and after the robbery.
Brown’s sole issue on appeal is that the district court abused its discretion in refusing to sever the possession count from the bank robbery counts. Although we are inclined to agree with the government that the law-of-the-case doctrine is applicable and we need not revisit the severance issue,
see United States v. Bartsh,
Accordingly, the judgment is affirmed.
