Civil Complaint
Civil Complaint
v.
Defendants.
The plaintiff, United States of America, through its attorneys Charles J. Kovats, Jr.,
Acting United States Attorney for the District of Minnesota, and Craig Baune, Assistant
United States Attorney, in a civil cause of action for forfeiture, alleges as follows in
accordance with Supplemental Rule G(2) of the Federal Rules of Civil Procedure:
1. This is an action to forfeit and condemn the defendants in rem to the use and
(a)(1)(C) for violations of 18 U.S.C. §§ 1341, 1343, 1349, 1956 and 1957.
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 2 of 40
Lot 7, Block 1, Creek Hill South, Scott County, Minnesota with property
tax ID number 264680070,
b. The real property and premises located at 5594 Candy Cove Trail SE, Prior
Lake, Minnesota 55378, legally described as:
c. The real property and premises located at 5604 Candy Cove Trail SE, Prior
Lake, Minnesota 55378, legally described as:
d. The real property and premises located at 3847 Cane Run Road, Louisville,
Kentucky 40211, legally described as:
e. The real property and premises located at 6200 South 3rd Street, Louisville,
Kentucky 40214, legally described as:
f. The real property and premises located at 2722 Park Avenue South,
Minneapolis, Minnesota 55404, legally described as:
Lot 23, Auditor’s Subdivision Number 215 with property tax ID number
35-029-24-32-0017,
2
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 3 of 40
h. The real property and premises located at 5150 Alvarado Lane in Plymouth,
Minnesota 55446, legally described as:
i. The real property and premises located at 2529 12th Avenue South,
Minneapolis, Minnesota 55404, legally described as:
Lot 12, Warnock and Laton’s Subdivision of Block 13, Gale’s First
Addition to Minneapolis, Hennepin County, Minnesota with property tax
ID number 35-029-24-13-0265,
j. The real property with all structures located at 301-309 East Lake Street,
Minneapolis, Minnesota 55408, legally described as:
k. The real property with all structures located at 311-319 East Lake Street,
Minneapolis, Minnesota 55408, legally described as:
Lots 38, 39, 40 and 41, State Addition to Minneapolis according to the
recorded plat thereof together with all hereditaments and appurtenances
with property tax ID number 03-028-24-11-0092,
m. The real property and premises located at 8432 Noble Ave N, Brooklyn
Park, Minnesota 55443, legally described as:
The North 313 feet of the West 480 feet of the Northwest 1/4 of the
Northwest 1/4 of Section 22, Township 119, Range 21, Hennepin County,
Minnesota, except the East 250 Feet Thereof with property tax ID number
22-119-21-22-0006,
3
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 4 of 40
n. The real property and premises located at 5026 93rd Ave N, Brooklyn Park,
Minnesota, legally described as:
Lot 33, Block 1, Amesbury Place 2nd Addition, Brooklyn Park, with
property tax ID number 09-119-21-44-0065,
o. The real property and premises located at 13825 Edgewood Avenue South,
Savage, Minnesota 55378, legally described as:
26264 Connelly Park Townhomes CIC 1044, Lot 30, Block 2 with property
tax ID number 262640620.
3. The Defendant Real Property has not been seized but is within the
jurisdiction of this Court. The United States does not request authority from the Court to
seize the Defendant Real Property at this time. The United States will, as provided by 18
a. Post notice of this action and a copy of the Complaint on the Defendant Real
Properties;
b. Serve notice of this action on the owners of the Defendant Real Properties
and any other person or entity who may claim an interest in the Defendant
4. Plaintiff brings this action in rem in its own right to forfeit and condemn the
Defendant Real Property. This Court has jurisdiction over an action commenced by the
4
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 5 of 40
United States under 28 U.S.C. § 1345 and over an action for forfeiture under 28 U.S.C.
§ 1355(a).
5. This Court has in rem jurisdiction over the Defendant Real Property under
28 U.S.C. § 1355(b). As is set forth above, this property was purchased using fraud
proceeds, and it was involved in and is traceable to funds involved in money laundering
transactions.
§ 1355(b)(1) because acts or omissions giving rise to the forfeiture occurred in this District,
and pursuant to 28 U.S.C. § 1395 because some of the Defendant Real Properties are
FACTS
I. OVERVIEW
funded child nutrition programs. The scheme was carried out by individuals who owned
and operated companies purportedly in the business of providing federally funded free
meals to underprivileged children and adults, including during the global Covid-19
pandemic.
8. The conspirators received tens of millions of dollars in federal funds for use
in providing nutritious meals to underprivileged children and adults. Almost none of this
money was used to feed children. Instead, conspirators misappropriated the money and
5
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 6 of 40
used it to purchase real estate, cars, and other luxury items. To date, the conspirators have
9. Through this case, the United States seeks the forfeiture of real property that
was purchased with the proceeds of that conspiracy to commit mail and wire fraud, and
which was involved in, or is traceable to property involved in, the conspiracy to commit
nutrition programs for children and low-income individuals across the nation. The USDA
operates two such programs—the Summer Food Service Program and the Child and Adult
11. The Summer Food Service Program (“SFSP”) is a federal program designed
to ensure that low-income children continue to receive nutritious meals when school is not
in session.
12. The Child and Adult Care Food Program (“CACFP”) is a federal program
that provides reimbursements for nutritious meals and snacks to eligible children and adults
who are enrolled for care at participating childcare centers, day care homes, and adult day
care centers. CACFP also provides reimbursements for meals served to children and youth
adults over the age of 60 or living with a disability and enrolled in day care facilities.
6
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 7 of 40
13. The SFSP and CACFP (together, the “Federal Child Nutrition Programs”)
operate throughout the United States. The USDA’s Food and Nutrition Service administers
the programs at the national and regional levels by disbursing federal funds to state
governments, which provide oversight over the Federal Child Nutrition Programs.
14. Within each state, the Federal Child Nutrition Programs are administered by
15. Locally, meals funded by the Federal Child Nutrition Program are served at
sites such as schools or daycare centers. Each site must be sponsored by a public or private
Programs are required to submit an application to the MDE for approval for each site from
which they intend to operate Federal Child Nutrition Programs. Sponsors are responsible
for monitoring each of their sites and preparing reimbursement claims for their sites.
16. Federal Child Nutrition Program funds are required to be used to provide
nutritious meals and food to children and low-income individuals. See 7 C.F.R. §
225.15(a)(4) (“All Program reimbursement funds must be used solely for the conduct of
17. Historically, the Federal Child Nutrition Programs have generally functioned
activities. During the Covid-19 pandemic, however, the USDA waived some of the
standard requirements for participation in the Federal Child Nutrition Program. Among
7
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 8 of 40
other things, USDA allowed for-profit restaurants to participate in the program. It also
allowed for off-site food distribution to children outside of educational program. At the
same time, MDE’s stay-at-home order and telework policies interfered with the ability to
oversee the program. According to MDE officials, this left the program vulnerable to fraud
and abuse.
diversion and misuse of Federal Child Nutrition Program funds during the Covid-19
pandemic. In or about April 2021, MDE provided information to the FBI alleging that
Feeding Our Future and sites under its sponsorship were diverting funds away from the
nutrition program. MDE believed certain sites were submitting fraudulent documents to
of helping community partners participate in the Federal Child Nutrition Program and
20. Feeding Our Future sponsors and helps administer sites that participate in the
Federal Child Nutrition Program. According to its website, Feeding Our Future “utilize[s]
the Child and Adult Care Food Program to increase healthy food access for Minnesota’s
youth and seniors.” The website lists Aimee Bock as the founder and executive director of
8
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 9 of 40
21. Records obtained from MDE show that, after being formed in 2017, Feeding
Our Future quickly began receiving and distributing millions of dollars in Federal Child
Nutrition Program Funds. The company went from receiving $3.4 million in 2019 to more
22. MDE became concerned about the massive increase in Federal Child
Nutrition Program funds going to sites sponsored by Feeding Our Future as well as the
large increase in the number of sites under Feeding Our Future sponsorship. According to
MDE employees, MDE began more carefully scrutinizing new site applications submitted
23. Feeding Our Future later sued MDE, alleging that it unlawfully denied its
site applications and withheld reimbursements to which Feeding Our Future and sites under
its sponsorship were entitled. This lawsuit is pending in Ramsey County District Court.
24. In May 2021, the FBI began investigating allegations surrounding the misuse
of federal funds intended for feeding children and low-income individuals. As part of this
investigation, the FBI obtained records of hundreds of bank accounts that received, either
directly or indirectly, Federal Child Nutrition Program funds. A review of these financial
records showed a massive fraud scheme involving the misuse and theft of tens of millions
25. As set forth below, the conspirators used various entities to generate
fraudulent invoices to Feeding Our Future, which were typically sent through electronic
means, through which they could receive payments for services and food that was not
provided, and through which they could launder the proceeds of that fraud. This civil
forfeiture complaint is commenced against real property that was purchased with the
proceeds of that fraud scheme and with funds traceable to money laundering.
26. The conspiracy described herein is extensive and includes many people and
entities. Because this is an in rem complaint filed only against certain specific properties,
only those conspirators who are most pertinent to the Defendant Real Properties are
addressed herein.
27. Safari Restaurant and Event Center is one of the sites receiving Federal Child
Nutrition Program money under the sponsorship of Feeding Our Future. A group of
individuals who own or are associated with Safari Restaurant have participated in a
28. Beginning in 2020, these individuals created several companies for use in
carrying out these schemes. They enrolled their companies in the Federal Child Nutrition
Program under the sponsorship of Feeding Our Future. They then claimed to be feeding
10
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 11 of 40
meals to thousands of children a day, for which they were reimbursed more than $10
million.
29. But bank records show they misappropriated most of this money and used it
30. Safari Restaurant is a restaurant and event center located at 3010 Fourth
Program under the sponsorship of Feeding Our Future in April 2020. Salim Said signed
the application on behalf of Safari Restaurant and Aimee Bock signed on behalf of Feeding
Our Future. The application stated that Safari Restaurant would be serving meals at 3010
32. On or about April 24, 2020, MDE informed Bock that it was denying the
from USDA, we aren’t creating any new CACFP At-Risk site IDs for locations not
33. Bock and Feeding Our Future objected to the denial of the application. On or
about April 24, 2020, Bock claimed that “[t]hese sites are already providing meals to the
states youth with the expectation of the meals being reimbursed” and asked what “authority
. . . allows you to deny site applications to sites that are clearly eligible.”
34. Bock and Feeding Our Future subsequently submitted a formal complaint to
11
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 12 of 40
35. In an email sent on April 28, 2020, an attorney representing Feeding Our
Future told MDE he was going to be filing a formal complaint about the denial of the
application.
36. Later that day, Bock sent a follow-up email to an MDE employee. Bock said
she “was extremely disappointed that MDE would deny these sites the opportunity to feed
youth culturally relevant foods during this national emergency. It was even more shocking
37. Two days later, on or about April 30, 2020, MDE approved Safari
Restaurant’s application and authorized its participation in the Federal Child Nutrition
Program.
children a day. That month, MDE conducted an administrative review and audit of Safari
Restaurant’s participation in the SFSP. As part of that review, MDE requested meal count
records showing the number of meals served at the site each day.
39. In response to MDE’s request, Feeding Our Future submitted weekly count
forms falsely reporting that Safari Restaurant provided both breakfast and lunch for 5,000
children a day, seven days a week, in July 2020. Safari Restaurant claimed that it served
both breakfast and lunch to between 4,985 and 4,998 children each day of July 2020.
40. Bank records show that Safari Restaurant received approximately $476,000
in Federal Child Nutrition Program funds in July 2020. The company received
12
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 13 of 40
41. In the fall of 2020, individuals associated with Safari Restaurant enrolled
additional sites in the Federal Child Nutrition Program. These sites were run by new
companies created for use in participating in the Federal Child Nutrition Program,
including ASA Limited LLC, Olive Management Inc., Tunyar Trading and Horseed
Management. These sites quickly began reporting that they were serving large numbers of
children.
created ASA Limited LLC on or about September 4, 2020. Secretary of State records list
3010 Fourth Avenue South as the mailing address for ASA Limited LLC.
43. That same day, ASA Limited LLC completed an application to enroll in the
Federal Child Nutrition Program under the sponsorship of Feeding Our Future. The
application and accompanying “New Site Intake” form stated that ASA Limited LLC
would be serving both breakfast and lunch to 3,000 children on Saturday and Sundays.
44. Abdihakim Ahmed signed the application on behalf of ASA Limited LLC.
Aimee Bock signed the application on behalf of Feeding Our Future. In correspondence
with MDE, Bock explained that ASA Limited would be “serving youth living in St. Paul”
and “in an area that does not have other culturally appropriate food sites.”
45. ASA Limited immediately began falsely claiming that it was entitled to large
amounts of Federal Child Nutrition Program funds. For example, ASA Limited claimed
13
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 14 of 40
that it was entitled to more than $700,000 in Federal Child Nutrition Program funds for
46. In all, MDE records show that ASA Limited has received more than $5.3
million in Federal Child Nutrition Program funds since its creation in September 2020.
47. Minnesota Secretary of State records show that Olive Management was
created by Ahmed Omar-Hashim in September 2020. That same month, the company
48. The application stated that Olive Management would be serving both
breakfast and lunch and 2,500 meals a day. The site address was listed as 3010 Fourth
Avenue South, the same address as Safari restaurant. Ahmed Omar-Hashim signed the
application on behalf of Olive Management and Aimee Bock signed on behalf of Feeding
Our Future.
49. The application included an agreement between Feeding Our Future and
Olive Management authorizing Feeding Our Future to charge administration fees “not to
Olive Management.
50. Olive Management immediately began falsely claiming that it was entitled
to large amounts of Federal Child Nutrition Program funds. For example, the company
claimed that it was entitled to more than $1.2 million in Federal Child Nutrition Program
51. In all, MDE records show that Olive Management has received more than
$5.2 million in Federal Child Nutrition Program funds since its creation in September 2020.
14
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 15 of 40
52. Both Tunyar Trading LLC and Horseed Management LLC were set up in
Trading LLC was formed on or about September 28, 2020, and Horseed Management LLC
was formed on October 9, 2020. As is set forth below, both of these entities were used to
receive and launder Federal Child Nutrition Program funds together with Safari and others.
53. Bank records show that more than $15 million in Federal Child Nutrition
Program funds were deposited into bank accounts held by Cosmopolitan Business
Solutions dba Safari Restaurant between May 2020 and November 2021.
54. A review of these accounts shows that little of this money was used to buy
food or other items related to participation in the Federal Child Nutrition Program. Instead,
the most significant withdrawals from the Safari Restaurant accounts were to limited
LLC, Salim Limited LLC, Afra Grill LLC, AG Limited LLC, 1130 Holdings LLC, Tunyar
Trading LLC and Horseed Management LLC. This money was then used to purchase real
55. Both Tunyar Trading and Horseed Management had vendor contracts to
provide food or meals to sites sponsored by Feeding Our Future. According to these
contracts, Feeding Our Future would pay the companies $2.13 per breakfast and $3.67 per
lunch.
15
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 16 of 40
56. Both companies opened bank accounts into which millions of dollars in
fraudulently-obtained Federal Child Nutrition Program funds flowed. But bank records
show that these companies did not use these funds to buy food or prepare meals. Instead,
57. Stigma-Free International Inc. is another company that receives large sums
U.S. Bank and Bank of America show that Stigma-Free International Inc. received more
than $6.5 million from Feeding Our Future since January 2021. Bank records show this
money was not used to purchase food or meals for underprivileged children. Instead, the
bulk of the money was transferred to entities controlled by individuals associated with
Safari Restaurant.
58. Although bank records show that Stigma-Free did not use the Federal Child
Nutrition Program funds to purchase food or prepare meals, the company claimed to be
serving meals to thousands of children a day. For example, in September 2021, the owner
of Stigma Free, Abdikadir Mohamud, sent an email to Aimee Bock with the subject line
“Willmar Meal Count/Invoice for September.” Attached to the email were “Summer Meal
Counts” claiming that Stigma Free served 2,000 meals a day, seven days a week during
59. According to the latest census data, only 21,000 people live in Willmar.
60. Bank records show that little of the money deposited into the Tunyar Trading
LLC or Horseed Management LLC accounts was used to purchase food or meals to serve
16
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 17 of 40
to underprivileged children. Instead, the bulk of the money was transferred to other limited
Safari Restaurant.
61. Stone Bridge Development LLC was created by Abdi Nur Salah in January
2021, per Minnesota Secretary of State records. A review of the Stone Bridge Development
LLC account at Star Choice Credit Union shows that Abdi Nur Salah used the account for
personal spending, as well as for the purchase of real property, rather than for legitimate
62. Bank records show that more than $900,000 in checks from Tunyar Trading
were deposited into a bank account of Stone Bridge Development LLC between February
19, 2021, and December 13, 2021. A review of bank records shows that the money received
by Stone Bridge Development LLC from Tunyar Trading were the proceeds of fraudulently
63. S & S Catering Inc. is one of the companies fraudulently receiving and
64. According to the Minnesota Secretary of State, S & S Catering Inc. was
organized in or about November 2018 by Qamar Ahmed Hassan. The company’s registered
office and principal executive office is listed as 307 East Lake Street, Minneapolis,
17
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 18 of 40
65. S & S Catering participated in the Federal Child Nutrition Program under the
sponsorship of both Feeding Our Future and Partners in Nutrition. 1 S & S Catering is a for-
profit company that participated in the Federal Child Nutrition Program both as a vendor
that provided food to sites that claimed to be serving meals to underprivileged children and
66. S & S Catering received its reimbursements from the Federal Child Nutrition
67. A review of these accounts shows that in 2020 and 2021 S & S Catering
received more than $3.2 million in Federal Child Nutrition Program funds directly from
Feeding Our Future and another $1.3 million from Partners in Nutrition.
68. Bank records show that S & S Catering also received millions of dollars from
other companies that participated in and received money from the Federal Child Nutrition
Programs, including Youth Inventor’s Lab, Academy for Youth Excellence, Youth High
Catering received more than $13.8 million in Federal Child Nutrition Programs funds in
1
Partners in Nutrition, also referred to as Partners in Quality Care, is another company
responsible for sponsorship and administration regarding sites that participate in the
Federal Child Nutrition Program.
18
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 19 of 40
69. A review of records from the S & S Catering bank accounts show that it only
used approximately $465,000—or 3.3 percent—of the Federal Child Nutrition Program
funds it received to buy food or meals to serve to underprivileged children. Instead, bank
records show that the vast majority of the money was transferred to the owners of S & S
2
S & S Catering had approximately $2.3 million remaining in its accounts as of late 2021.
19
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 20 of 40
70. This activity was designed to perpetuate the fraud scheme described above
and launder the money fraudulently obtained from the Federal Child Nutrition Program.
72. Academy for Youth Excellence is located at 309 East Lake, Minneapolis,
Minnesota 55408 (“309 East Lake”). According to Minnesota Secretary of State records,
Sahra Mohamed Nur incorporated Academy for Youth Excellence on or about November
18, 2020.
73. Academy for Youth Excellence applied to participate in the Federal Child
Nutrition Program starting in December 2020. According to its application submitted via
Feeding Our Future, meals provided by Academy for Youth Excellence were to be
prepared on site at 309 East Lake. Based on surveillance, 309 East Lake is Benadir Hall, a
large banquet hall. According to Minnesota Secretary of State records, Benadir Hall Inc.’s
principal place of business and mailing address are the same as Academy for Youth
Excellence’s.
74. By December 27, 2020, Sahra Mohamed Nur claimed that Academy for
Youth Excellence was serving breakfast and lunch to 2,500 children a day, five days a
week. By the week of January 4, 2021, Sahra Mohamed Nur was claiming that Academy
20
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 21 of 40
for Youth Excellence was serving breakfast and lunch to 2,500 children a day, seven days
a week.
75. Based on these false claims, Academy for Youth Excellence received
approximately $739,000 in Federal Child Nutrition Program funds for January and
February 2021.
76. Bank records show that Academy for Youth Excellence received more than
$4.1 million in Federal Child Nutrition Program funds in 2021, and that the vast majority
of these funds were transferred to other people and entities involved in this scheme,
Benadir Hall, and $100,000 to other Academy for Youth Excellence accounts.
Academy for Youth Excellence and others, a review of S & S Catering’s bank accounts
show that little of the money it received from Youth Academy for Youth Excellence was
Lofts,” also received Federal Child Nutrition Program funds through this fraud scheme.
Minnesota Secretary of State records list 920 24th Avenue NE, Unit 220, Minneapolis,
Minnesota 55418 as the address for Advance Youth Athletic Development. This is a unit
21
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 22 of 40
Child Nutrition Program under the sponsorship of Feeding Our Future. The application
indicated that the meals would be served at the Central Avenue Lofts apartment building.
81. Advance Youth Athletic Development submitted claims to MDE that it was
serving an afterschool snack and supper to 5,000 children a day in March 2021. The
83. MDE initially denied the site application in April 2021. In May 2021,
Feeding Our Future appealed MDE’s decision, and eventually Advance Youth Athletic
Development was enrolled in the program and provided reimbursements from the Federal
84. In all, MDE records show that Advance Youth Athletic Development
received approximately $3.2 million in Federal Child Nutrition Program funds in 2021.
22
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 23 of 40
Secretary of State records, Mind Foundry Learning Foundation is an assumed name under
mission is “to provide quality STEM educational programing and promote health and
Program via the sponsorship of both Feeding Our Future and, as Mind Foundry, under the
89. ThinkTechAct receives Federal Child Nutrition Program funds from both
sponsors into an account at U.S. Bank. Mahad Ibrahim is the signatory on this account.
90. A review of ThinkTechAct Foundation’s U.S. Bank account shows that the
company received more than $16 million in Federal Child Nutrition Program funds from
from Partners in Nutrition and approximately $2,394,100 from Feeding Our Future. Almost
99 percent of the funds deposited into ThinkTechAct Foundation’s U.S. Bank account were
23
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 24 of 40
91. These Federal Child Nutrition Program funds were intended to reimburse the
company for the cost of meals provided to underprivileged children. Bank records show
that the company used little, if any, money to purchase food or provide meals to children.
92. Instead, bank records show that the funds were transferred to other accounts
that appear to function essentially as shell companies designed to help launder fraudulently
obtained and misappropriated Federal Child Nutrition Program funds. In all, approximately
$11.6 million was transferred to companies owned or controlled by the owners of Empire
or other co-conspirators.
93. Bushra Wholesalers LLC was used to help launder fraudulently obtained and
of State records, Bushra Wholesalers LLC was formed on or about February 10, 2021, by
Said Farah. Since then, the company opened bank accounts at Bank of America and
TruStone Financial Credit Union into which flowed thousands of dollars in fraudulently
24
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 25 of 40
Federal Child Nutrition Program funds to Empire Cuisine & Market LLC, Empire
Enterprises LLC, and Empire Gas & Grocery LLC. All of these companies were created
and controlled by Abdiaziz S. Farah and Abdimajid Mohamed Nur. The money from the
Federal Child Nutrition Program that was deposited into these accounts was not used to
95. According to the Minnesota Secretary of State, Empire Cuisine & Market
96. Empire Cuisine & Market LLC has a contract to be a vendor for the SFSP.
The contract stated that Empire Cuisine & Market LLC would be providing meals to sites
97. The contract between Partners in Nutrition and Empire Cuisine & Market
LLC specified that Partners in Nutrition would pay Empire Cuisine & Market LLC $2.01
per breakfast and $3.52 per lunch for the SFSP. The money paid by Partners in Nutrition
98. In or about June 2021, Aimee Bock emailed MDE and requested to change
Empire Cuisine & Marketing LLC’s sponsorship from Partners in Nutrition to Feeding Our
Future.
25
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 26 of 40
99. Empire Cuisine & Market LLC has received Federal Child Nutrition
Program funds from both Partners in Nutrition and Feeding Our Future. A review of these
accounts shows that from on or about May 15, 2020, to on or about November 30, 2021.
Empire Cuisine & Market LLC received approximately $11,065,498 in Federal Child
Nutrition Program funds via Partners in Nutrition and approximately $794,157 in Federal
Child Nutrition Program funds via Feeding Our Future. Bank records show that during this
same time period, approximately $6,943,959 was transferred to Empire Cuisine & Market
LLC from ThinkTechAct Foundation, which was the proceeds of fraudulently obtained
100. A review of these accounts shows that little of this money was used to buy
food or other items related to participation in the Federal Child Nutrition Program. Instead,
the most significant withdrawals from the Empire Cuisine & Market bank accounts were
to limited liability companies controlled by Empire Cuisine & Market owners. This money
was then used to purchase properties, pay builders, to purchase high end clothing, travel,
make international money transfers and other luxury items, including the Defendant Real
Property.
account held by Empire Enterprises LLC, another company created and controlled by
102. According to the Minnesota Secretary of State, Empire Enterprises LLC was
26
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 27 of 40
103. Empire Enterprises LLC received more than $861,000 in Federal Child
Nutrition Program funds between in or about April 2021 and in or about September 2021.
104. In addition, it also received more than $4 million in Federal Child Nutrition
Program funds from accounts held by Empire Cuisine & Market LLC and ThinkTechAct
Foundation. In all, from April 2021 to June 2021, more than $4.2 million in Federal Child
Nutrition Program funds were deposited into the Empire Enterprises LLC’s account at Old
National Bank. This represented 99 percent of the funds deposited into the account.
105. These funds were not used to buy food or provide meals to underprivileged
children. Bank records show that almost none of this money was used to purchase food.
Instead, a large portion of this money was used to purchase real estate in Kenya and the
107. Abdiaziz Farah used Federal Child Nutrition Programs funds from the
108. Bank records show that on or about April 15, 2021, $575,000 was transferred
from the Empire Enterprises LLC account at Old National Bank to Trademark Title
Services. The wire transfer documents indicated that the funds were for the purchase of
27
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 28 of 40
109. All of the funds for Farah’s purchase of 15418 Hampshire Lane were derived
from Federal Child Nutrition Program funds and are traceable to the fraud and money
B. 5594 and 5604 Candy Cove Trail SE, Prior Lake, Minnesota
110. More than $1 million in Federal Child Nutrition Program funds were used to
purchase two lakefront lots on Prior Lake for more than $1 million.
check for approximately $1,041,992 from an Empire Enterprises LLC account at Old
National Bank. The check was made payable to Trademark Title Services. The addresses
5594 and 5604 Candy Cove Trail SE, Prior Lake, Minnesota were handwritten on the
check.
112. Bank records show that all of the money used to obtain this cashier’s check
was derived from fraudulently-obtained Federal Child Nutrition Program funds received
Revenue records similarly show that Empire Enterprises LLC purchased these lots on or
113. Title to these properties was transferred to Empire Enterprises LLC. They
are the proceeds of the fraud scheme and were involved in money laundering transactions
114. BBI, LLC purchased the real property at 3847 Cane Run Road, Louisville,
28
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 29 of 40
115. Kentucky Secretary of State records show that BBI, LLC was organized on
116. Bank records show that this property was purchased with funds from Stock
Yards Bank and Trust account No. *******34, which is held in the name of BBI, LLC.
117. That account at Stock Yards Bank was funded entirely or virtually entirely
with the direct or indirect proceeds of the fraud and money laundering conspiracy,
including $466,404.00 of deposits from Empire Cuisine and Market LLC and $56,332 from
118. As a result, this property was purchased using fraud proceeds, and it was
119. BBI LLC funded the purchase of this property in October 2021 using funds
120. According to bank records and other documents, BBI LLC paid $10,000
earnest money, and $50,000 at closing to purchase this property, which was then titled to
121. BBI LLC funded this purchase with funds from Stock Yards Bank and Trust
122. That account at Stock Yards Bank was funded entirely or virtually entirely
with the direct or indirect proceeds of the fraud and money laundering conspiracy,
including $466,404 of deposits from Empire Cuisine and Market LLC and $56,332 from
29
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 30 of 40
123. As a result, this property was purchased using fraud proceeds, and it was
124. A review of bank records shows that Salim A. Said, Abdulkadir Nur Salah,
and Ahmed Omar-Hashim used $2.8 million in federal child nutrition program funds to
purchase a commercial office building located at 2722 Park Avenue South, Minneapolis,
Minnesota, and an adjacent parking lot at 2742 Park Avenue South (together, the “Park
Avenue Properties”).
125. The money used to purchase the Park Avenue Properties was the proceeds of
the fraud scheme to obtain Federal Child Nutrition Program funds. These funds came from
Feeding Our Future and were deposited into bank accounts held by several companies
30
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 31 of 40
126. As explained above, these entities were shell companies whose bank
127. After being laundered through various other bank accounts, a total of
$2,750,000 was deposited into an account in the name of Cosmopolitan Business Properties
LLC at Bridgewater Bank on July 2, 2021. The money was transferred from bank accounts
128. The Cosmopolitan Business Properties bank account was created and first
used for this transaction. On or about July 15, 2021, less than two weeks after these funds
had been transferred into the account, Cosmopolitan Business Properties LLC used the
money to purchase the Park Avenue Property for $2,780,000. 2722 Park Avenue is one of
the large historic mansions on Park Avenue in south Minneapolis. The property has been
129. According to title company records, 2742 Park Avenue is a large parking lot
31
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 32 of 40
130. As is set forth above, this property was purchased using fraud proceeds and
it was involved in, and is traceable to funds involved in, money laundering transactions.
131. Salim Said, one the Safari Restaurant owners, purchased a single-family
home located at 5150 Alvarado Lane in Plymouth, Minnesota using more than $950,000
132. Bank records show that Feeding Our Future paid these funds to three
companies owned or controlled by Said or other associates of the Safari Restaurant group:
Stigma Free International, ASA Limited LLC, and Cosmopolitan Business Solutions d/b/a
Safari Restaurant. Those companies then transferred the funds into an account of Salim
Limited LLC at Wells Fargo Bank, from which Salem paid $952,000 to purchase 5150
Alvarado Lane.
32
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 33 of 40
133. Salim Said and Anisa Mohamud Chekchekani (who is believed to be Said’s
134. As is set forth above, this property was purchased using fraud proceeds and
it was involved in, and is traceable to funds involved in, money laundering transactions.
135. Abdi Nur Salah and a partner purchased this four-unit residential building on
or about October 29, 2021. Upon information and belief, Abdi Nur Salah is a relative of
136. According to Hennepin County Property records, 2529 12th Avenue South
137. Bank records show that, on or about October 29, 2021, Salah and/or his
partner obtained a $386,000 cashier’s check payable to GCS Title from the ANS Projects
LLC account at TruStone Financial Credit Union. Both Abdi Nur Salah and his partner are
signers on the ANS Projects LLC account. This check was used to purchase 2529 12th
Avenue South.
138. That check for $386,000 included $200,000 that ANS Projects LLC received
from Stone Bridge Development LLC on or about October 18, 2021. That $200,000 was
traceable to payments from Feeding Our Future which had been routed through Stigma-
Free International LLC, Cosmopolitan Business Solutions LLC, and Tunyar Trading LLC.
139. As a result, this property was purchased with proceeds traceable to the fraud
and money laundering scheme described above, and it was involved in money laundering
33
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 34 of 40
140. In or about August 2021, Qamar Ahmed Hassan and Sahra Mohamed Nur
used $2.5 million in Federal Child Nutrition Program funds to purchase three buildings in
created Golis Properties LLC in December 2020. Secretary of State records list 309 East
Lake Street, Minneapolis, Minnesota as the company’s registered address and principal
executive office.
142. Golis Properties LLC has an account at Woodlands National Bank. Bank
records show that Qamar Ahmed Hassan, Sahra Mohamed Nur, and Abdiwahab A.
143. Bank records also show that Golis Properties LLC transmitted, through a
Banker’s Title between June 25, 2021 and August 26, 2021.
144. Records obtained from Banker’s Title show that Golis Properties LLC used
this money for the purchase of the following three properties in Minneapolis on or about
34
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 35 of 40
145. The payments to the title company for these property purchases were
composed entirely or almost entirely of funds that were traceable to the fraud scheme.
These funds were paid by Feeding Our Future to S & S Catering Inc., Academy for Youth
Excellence and Youth Higher Educational Achievement, then routed through other
146. As a result, these three properties were purchased using fraud proceeds and
were involved in, and are traceable to funds involved in, money laundering transactions.
147. Golis Properties is owned and run by conspirators in the fraud and money
laundering scheme described above. The purchase of each of these three properties was
made using fraud proceeds, and the properties were involved in, and are traceable to funds
148. This property was purchased for $1,007,617.50 by Five A’s Projects LLC on
149. Five A’s Projects LLC is a limited liability company that was registered with
the Minnesota Secretary of State on or about October 7, 2021. This entity is owned by Abdi
Salah, Abdikadir Mohamud, Abdihakim Ahmed, Ahmed Hashim, and Ahmed Artan.
150. Most or all of the funds that were used to purchase this real property were
proceeds of the fraud and money laundering conspiracy. The funds used to purchase this
35
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 36 of 40
property include: $250,000 from Olive Management LLC; $324,047 from Tunyar Trading
LLC; and $235,000 from Stone Bridge Development LLC (which was funded with
payments from Tunyar Trading LLC). An additional $150,000 was paid by Abdikhakim
151. As a result, this property was purchased using fraud proceeds and it was
involved in, and is traceable to funds involved in, money laundering transactions.
of Mohamed Jama Ismail, one of the owners of Empire Cuisine & Marketing LLC. It is
also the registered address of Empire Cuisine & Market LLC, a company that fraudulently
153. On or about May 27, 2021, Mohamed Ismail paid off the note secured by the
mortgage lien against this property through a payment in the amount of $137,270.41 to
U.S. Bank.
154. This payment was made from Ismail’s personal account, which, in turn, was
funded with payments from Empire Cuisine and Market LLC that are the proceeds of the
155. As a result, this property was purchased using fraud proceeds and it was
involved in, and is traceable to funds involved in, money laundering transactions.
36
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 37 of 40
COUNT 1 -
ALL DEFENDANTS
18 U.S.C. § 981(A)(1)(C) for Violations of 18 U.S.C. §§ 1341, 1343 and 1349
156. The actions described above constitute wire fraud, mail fraud and conspiracy
to commit mail and wire fraud in violation of 18 U.S.C. §§ 1341, 1343, and 1349.
157. Civil forfeiture of the proceeds of violations of wire fraud and mail fraud,
and conspiracy to commit mail and wire fraud, is authorized by 18 U.S.C. § 981(a)(1)(C).
‘specified unlawful activity’ (as defined in section 1956(c)(7) of this title), or a conspiracy
to commit such offense.” Section 1956(c)(7)(A) defines the term “specified unlawful
activity” as including “any act or activity constituting an offense listed in section 1961(1)
of this title.” And 18 U.S.C. § 1961(1) includes violations of 18 U.S.C. §§ 1341 and 1343
158. The Defendant Real Properties constitute, and are derived from, proceeds of
wire and mail fraud, and a conspiracy to defraud the United States federally funded child
981(a)(1)(C).
37
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 38 of 40
COUNT 2
ALL DEFENDANTS
18 U.S.C. § 981(A)(1)(A) – for Violations Of 18 U.S.C. §§ 1956 And 1957
1956 [or] 1957… of this title, or any property traceable to such property.”
unlawful activity when the transaction is designed in whole or part “to conceal or disguise
the nature, the location, the source, the ownership or the control of the proceeds of the
or Federal law.”
monetary transaction in criminally derived property of a value of more than $10,000, when
162. Wire fraud and mail fraud are specified unlawful activities pursuant to 18
163. The Defendant Real Properties are subject to forfeiture pursuant to 18 U.S.C.
§ 981(a)(1)(A) because they were each involved in, or are traceable to property involved
38
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 39 of 40
164. The United States requests that the Court issue a warrant for the arrest and
seizure of the Defendant Real Properties, and that after the search and seizure warrants are
executed, notice of this action be given to all persons who reasonably appear to be potential
claimants of interests in the Defendant Real Properties, that the Defendant Real Properties
be forfeited and condemned to the United States of America, that the United States be
awarded its costs and disbursements in this action, and for such other and further relief as
s/Craig Baune
BY: CRAIG R. BAUNE
Attorney ID No. 331727
Assistant United States Attorneys
600 United States Courthouse
300 South Fourth Street
Minneapolis, MN 55415
Phone: 612-664-5600
Craig.Baune@usdoj.gov
39
CASE 0:22-cv-00154-SRN-DTS Doc. 1 Filed 01/21/22 Page 40 of 40
VERIFICATION
I am and have been a Special Agent with the Federal Bureau of Investigation since
November 8, 2021. I have read the foregoing Verified Complaint In Rem and know the
contents thereof, and the matters contained in the Verified Complaint are true to my own
knowledge, except that those matters not within my knowledge are alleged on information
The sources of my knowledge and information and the grounds of my belief are the
official files and records of the United States, information provided to me by other law
enforcement agencies and officers, and information I have learned by reviewing reports
I hereby verify and declare under penalty of perjury that the foregoing is true and
correct.
Dated: 1-21-2022
s/Travis Wilmer
TRAVIS WILMER, Special Agent
Federal Bureau of Investigation
40
JS 44 (Rev. 04/21) CASE 0:22-cv-00154-SRN-DTS Doc. 1-1
CIVIL COVER Filed 01/21/22 Page 1 of 2
SHEET
The JS 44 civil cover sheet and the information contained herein neither replace nor supplement the filing and service of pleadings or other papers as required by law, except as
provided by local rules of court. This form, approved by the Judicial Conference of the United States in September 1974, is required for the use of the Clerk of Court for the
purpose of initiating the civil docket sheet. (SEE INSTRUCTIONS ON NEXT PAGE OF THIS FORM.)
I. (a) PLAINTIFFS DEFENDANTS
8QLWHG6WDWHVRI$PHULFD +DPSVKLUH/DQH6DYDJH0LQQHVRWDHWDO
(b) County of Residence of First Listed Plaintiff County of Residence of First Listed Defendant +HQQHSLQ
(EXCEPT IN U.S. PLAINTIFF CASES) (IN U.S. PLAINTIFF CASES ONLY)
NOTE: IN LAND CONDEMNATION CASES, USE THE LOCATION OF
THE TRACT OF LAND INVOLVED.
(c) Attorneys (Firm Name, Address, and Telephone Number) Attorneys (If Known)
&UDLJ5%DXQH$VVLVWDQW8QLWHG6WDWHV$WWRUQH\
8QLWHG6WDWHV&RXUWKRXVH6RXWK)RXUWK6WUHHW
0LQQHDSROLV013KRQH
II. BASIS OF JURISDICTION (Place an “X” in One Box Only) III. CITIZENSHIP OF PRINCIPAL PARTIES (Place an “X” in One Box for Plaintiff
(For Diversity Cases Only) and One Box for Defendant)
;1 U.S. Government 3 Federal Question PTF DEF PTF DEF
Plaintiff (U.S. Government Not a Party) Citizen of This State 1 1 Incorporated or Principal Place 4 4
of Business In This State
2 U.S. Government 4 Diversity Citizen of Another State 2 2 Incorporated and Principal Place 5 5
Defendant (Indicate Citizenship of Parties in Item III) of Business In Another State
The JS 44 civil cover sheet and the information contained herein neither replaces nor supplements the filings and service of pleading or other papers as
required by law, except as provided by local rules of court. This form, approved by the Judicial Conference of the United States in September 1974, is
required for the use of the Clerk of Court for the purpose of initiating the civil docket sheet. Consequently, a civil cover sheet is submitted to the Clerk of
Court for each civil complaint filed. The attorney filing a case should complete the form as follows:
I.(a) Plaintiffs-Defendants. Enter names (last, first, middle initial) of plaintiff and defendant. If the plaintiff or defendant is a government agency, use
only the full name or standard abbreviations. If the plaintiff or defendant is an official within a government agency, identify first the agency and then
the official, giving both name and title.
(b) County of Residence. For each civil case filed, except U.S. plaintiff cases, enter the name of the county where the first listed plaintiff resides at the
time of filing. In U.S. plaintiff cases, enter the name of the county in which the first listed defendant resides at the time of filing. (NOTE: In land
condemnation cases, the county of residence of the "defendant" is the location of the tract of land involved.)
(c) Attorneys. Enter the firm name, address, telephone number, and attorney of record. If there are several attorneys, list them on an attachment, noting
in this section "(see attachment)".
II. Jurisdiction. The basis of jurisdiction is set forth under Rule 8(a), F.R.Cv.P., which requires that jurisdictions be shown in pleadings. Place an "X"
in one of the boxes. If there is more than one basis of jurisdiction, precedence is given in the order shown below.
United States plaintiff. (1) Jurisdiction based on 28 U.S.C. 1345 and 1348. Suits by agencies and officers of the United States are included here.
United States defendant. (2) When the plaintiff is suing the United States, its officers or agencies, place an "X" in this box.
Federal question. (3) This refers to suits under 28 U.S.C. 1331, where jurisdiction arises under the Constitution of the United States, an amendment
to the Constitution, an act of Congress or a treaty of the United States. In cases where the U.S. is a party, the U.S. plaintiff or defendant code takes
precedence, and box 1 or 2 should be marked.
Diversity of citizenship. (4) This refers to suits under 28 U.S.C. 1332, where parties are citizens of different states. When Box 4 is checked, the
citizenship of the different parties must be checked. (See Section III below; NOTE: federal question actions take precedence over diversity
cases.)
III. Residence (citizenship) of Principal Parties. This section of the JS 44 is to be completed if diversity of citizenship was indicated above. Mark this
section for each principal party.
IV. Nature of Suit. Place an "X" in the appropriate box. If there are multiple nature of suit codes associated with the case, pick the nature of suit code
that is most applicable. Click here for: Nature of Suit Code Descriptions.
VI. Cause of Action. Report the civil statute directly related to the cause of action and give a brief description of the cause. Do not cite jurisdictional
statutes unless diversity. Example: U.S. Civil Statute: 47 USC 553 Brief Description: Unauthorized reception of cable service.
VII. Requested in Complaint. Class Action. Place an "X" in this box if you are filing a class action under Rule 23, F.R.Cv.P.
Demand. In this space enter the actual dollar amount being demanded or indicate other demand, such as a preliminary injunction.
Jury Demand. Check the appropriate box to indicate whether or not a jury is being demanded.
VIII. Related Cases. This section of the JS 44 is used to reference related pending cases, if any. If there are related pending cases, insert the docket
numbers and the corresponding judge names for such cases.
Date and Attorney Signature. Date and sign the civil cover sheet.