Case 2:12-cr CM Document 1 Filed 04/18/12 Page 1 of 17 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF KANSAS (KANSAS CITY DOCKET)

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Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 1 of 17 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF KANSAS (KANSAS CITY DOCKET) UNITED STATES OF AMERICA, ) ) Plaintiff, ) ) vs. ) No. ) ANTHONY RENFROW ) and ) WILLIAM BILL FOX, ) ) Defendant. ) ) INDICTMENT The Grand Jury charges: Background At all times relevant to this Indictment: 14DailyPlus.com 1. 14DailyPlus.com was an Internet website that fraudulently offered opportunities for investors to join as members and use an autosurf form of advertising. 14DailyPlus.com was a company incorporated in Nevada with a registered address in Las Vegas, Nevada. 2. Autosurfing is a form of advertising in which investors in 14DailyPlus.com were purportedly paid to view an advertiser s website for a certain period of time through the 14DailyPlus.com website. 3. 14DailyPlus.com autosurf investors paid a membership fee and were promised a per-site commission return on the fee. Autosurf investors could pay an

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 2 of 17 additional fee to upgrade their level, with commissions based on the member s viewing a minimum number of sites. 14DailyPlus.com offered a return of 14% per day for a period of ten days totaling a 140% return on the investment. 4. To achieve the rate of return, 14DailyPlus.com reportedly pooled the capital investments of all members, which was used to purchase advertising units on the Internet with Fortune 500-type companies. Internet visits to these particular advertisers websites through 14DailyPlus.com then provided a return on the investment into the advertising units. Individuals 5. Defendant Anthony Renfrow (Renfrow) was the founder of 14DailyPlus.com, which commenced operations in or about March. Success Marketing Systems was a business name utilized by Renfrow for 14DailyPlus.com. 6. Defendant William Bill Fox (Fox) was the primary promoter and recruiter of 14DailyPlus.com in the Kansas City metropolitan area beginning in the summer of. Eagle Marketing Group, LLC was incorporated in or about January in the State of Kansas, with defendant Fox as the registered agent. Financial Institutions 7. Heritage Community Credit Union was a financial institution in Rancho Cordova, California, the accounts of which were insured by the National Credit Union Share Insurance Fund. Anthony Renfrow d.b.a. Success Marketing Systems established account #XX8622 before January. Anthony Renfrow also established account #XX4422 at Heritage Community Credit Union before January. 8. Bank of America was a financial institution, the deposits of which were insured 2

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 3 of 17 by the Federal Deposit Insurance Corporation, with its corporate headquarters in Charlotte, North Carolina, but with branches throughout California, Kansas, Missouri, and elsewhere. Anthony Renfrow d.b.a. Success Marketing Systems established account #XXXXXX4596 in or about August. Anthony Renfrow established account #XXXXXX6504 at Bank of America in or about July. 9. SafePay Solutions, Inc. was a financial institution established in Reno, Nevada, which was an online payment processor that engaged in the business of transmission of funds. SafePay Solutions, Inc. had account XXXXXX1533 and XXXXXX3103 at Bank of America. 10. E-Gold Ltd. was a financial institution operated by Gold and Silver Reserve, Inc., located in Melbourne, Florida, which was an online digital currency business that offered an exchange of e-metal accounts for consumers, which enabled account holders to use gold, silver, or other precious metals as a medium of exchange. 11. Anygoldnow was a financial institution in San Diego, California, that conducted currency exchanges and was a dealer in commodities and precious metals. Scheme to Defraud 12. During the period from in or about March, to in or about May 2007, in the District of Kansas and elsewhere, RENFROW and FOX, together with each other and others, both known and unknown to the Grand Jury, knowingly devised a scheme to defraud individuals to join 14DailyPlus.com as investors, and to obtain money and property by means of material false and fraudulent pretenses, representations and promises made to individuals to convince them to join 14DailyPlus.com. 13. It was part of the scheme to defraud and to obtain money and property by 3

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 4 of 17 means of material false and fraudulent pretenses, representations, and promises, and in furtherance of it, that the defendants knowingly and intentionally engaged in and caused the following activities: a. Recruited individuals to become investors in 14DailyPlus.com, when in truth and in fact there was no investment vehicle; b. Enticed purported investors with the promise of a 14% daily return on the purported investment, when in truth and in fact such a return was completely unrealistic; c. Falsely promised a return on the purported investment to be realized by merely clicking on certain web pages for a limited amount of time each day; d. Recruited additional investors used as the basis for the individuals to receive the return on the original investment, when in truth and in fact no such returns were made to the investors ; e. Solicited investment funds to be paid in cash up to $9,000, which made the tracing of funds more difficult and avoided currency transaction reporting requirements; f. Regularly conducted conference calls via telephone and Internet for recruitment of new investors and conveying assurances of the program, when in truth and in fact, these were utilized to lull the individuals into believing the program was a legitimate investment vehicle; and g. Promised returns on the investments despite having no secured method to process payment of the investment returns. 4

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 5 of 17 Count 1 14. Paragraphs 1-13 are incorporated as though fully set out herein. 15. Beginning in or about March, the exact date being unknown to the Grand Jury, and continuing to on or about May 16, 2007, both dates being approximate and inclusive, in the District of Kansas and elsewhere, the defendants, ANTHONY RENFROW and WILLIAM BILL FOX, knowingly and intentionally conspired and agreed together and with each other, and with other persons known and unknown to the Grand Jury, to commit the following offenses against the United States: wire fraud, in violation of Title 18, United States Code, Sections 2 and 1343; and engaging in monetary transactions greater than $10,000, in violation of Title 18, United States Code, Sections 2 and 1957. Object of Conspiracy 16. It was a part and object of the conspiracy that RENFROW, FOX, and their coconspirators, willfully and knowingly devised a scheme to defraud investors through 14DailyPlus.com and to obtain money and property by means of false and fraudulent pretenses, representations, and promises, and, for the purpose of executing the scheme to defraud, knowingly and intentionally caused to be transmitted by means of wire communications in interstate and foreign commerce, writings, signs, signals, and sounds for the purpose of executing such scheme to defraud individuals in violation of Title 18, United States Code, Sections 2 and 1343. 17. It was a further part and object of the conspiracy that RENFROW, FOX, and their co-conspirators, knowingly engaged in monetary transactions by, through, and to 5

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 6 of 17 financial institutions, affecting interstate commerce, in criminally derived property of a value greater than $10,000.00, through deposits, withdrawals, and transfers of U.S. currency, funds, and monetary instruments, such property having been derived from wire fraud, which is a specified unlawful activity, in violation of Title 18, United States Code, Sections 2 and 1957. Manner and Means 18. It was part of the conspiracy that the founder and promoters of 14DailyPlus.com established an Internet website that appeared as though individuals could make investments and reap large returns. 19. It was further part of the conspiracy that the founder and promoters of 14DailyPlus.com falsely promised 14% per day return on the purported investment. 20. It was further part of the conspiracy that the founder and promoters of 14DailyPlus.com solicited investments in amounts up to $9,000 cash. 21. It was further part of the conspiracy that the founder and promoters of 14DailyPlus.com falsely promised a greater return on the investment if more money was invested. 22. It was further part of the conspiracy that the founder and promoters of 14DailyPlus.com encouraged investors to reinvest all returns into the program. 23. It was further part of the conspiracy that the founder and promoters of 14DailyPlus.com regularly conducted conference calls via telephone and Internet to recruit individuals, encourage more investments, and reassure the soundness of the investments. 24. It was further part of the conspiracy that the founder and promoters of 6

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 7 of 17 14DailyPlus.com deposited the invested funds into their personal accounts. 25. It was further part of the conspiracy that the founder and promoters of 14DailyPlus.com used the invested money for personal purposes and did not pay out returns to the investors. Overt Acts 26. In furtherance of this conspiracy and to effect and accomplish the objects of it, one or more of the defendants or conspirators, both indicted and unindicted, committed, among others, the following overt acts in the District of Kansas and elsewhere: Recruiting Investors a. During a conference call with Matt Becker, Renfrow assured 14DailyPlus.com investors their funds were safe and that no one would lose their funds or investment despite the delay in payments being made to the investors. Renfrow asserted the delay in payments of returns was due to problems associated with the Internet payment entities, and nothing more. b. Fox recruited Eric Fellows to become part of 14DailyPlus.com by making an investment in 14DailyPlus.com, and then earning a return on that investment by merely viewing advertising sites established through 14DailyPlus.com. The earnings were to be credited to the investor s online account and it was recommended that earnings remain in the account. c. Renfrow reported to Charles Lunsford that investors were not being paid because cyber thieves had compromised 14DailyPlus.com s E-Gold account, so the funds were not available to be disbursed. 7

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 8 of 17 d. Fox told Aubrey Meyer that she could earn a 40% return on her investment with 14DailyPlus.com, and was assured she would at least get her initial investment returned. e. Fox personally placed a telephone call to Robert Montgomery to congratulate him for recruiting others to join 14DailyPlus.com. f. Renfrow personally met with James Oliver in Sacramento, California, and showed Mr. Oliver office space as a means of satisfying concerns whether 14DailyPlus.com was a legitimate business. Mr. Oliver participated in conference calls with Renfrow, who provided various reasons for lack of payments to the investors. Renfrow s explanation for lack of payment included a tale that his E-Gold account had been hacked, so Renfrow was awaiting payout from another investment to then satisfy payments in 14DailyPlus.com. g. During a conference call with Russ Pitts, Fox stated he had made $250,000 in six months through 14DailyPlus.com, and that his mother-in-law had made $60,000. Fox told Mr. Pitts that participants in 14DailyPlus.com would not be paid if they did not recruit other people to join 14DailyPlus.com. h. During a conference call with Russ Pitts, Renfrow directed people to not refer to 14DailyPlus.com as an investment. i. During a conference call with James Rizqalla, Renfrow reported problems with the 14DailyPlus.com website, which required some reorganization and delays in payments. j. Fox recruited Art Ruby to become part of 14DailyPlus.com and encouraged Mr. Ruby to make the investment with cash. 8

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 9 of 17 k. During a conference call with Art Ruby, Renfrow stated everyone who participated in 14DailyPlus.com would be paid, and when a participant in the conference call had specific questions about payments, then they were accused of not being a team player, and threatened with having their account closed. Explanations by Fox for delays in payment included health issues for Renfrow, SafePay Solutions, Inc. not releasing funds, or glitches with the Internet payment system. l. During conference calls with Willis Smith, Renfrow encouraged people to invest with 14DailyPlus.com, and assured the participants that no one would ever lose money because the initial investment would always be returned. Renfrow explained payments were delayed until more people invested with 14DailyPlus.com, so the capital fund would be increased and allow for returns to be paid. m. During a conference call with Don Stroh, Renfrow stated no one would lose their money in connection with 14DailyPlus.com. Renfrow explained investments could be made by sending a wire transfer to Renfrow s personal Bank of America account from the investor s bank account or directly depositing funds into Renfrow s Bank of America account at any local Bank of America branch. Cash Investments 27. The defendants and conspirators solicited cash from investors as the method of payment to commence their involvement in 14DailyPlus.com. Those cash payments to the defendants and conspirators occurred as follows: 9

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 10 of 17 Date Victim Promoter/Recruiter Amount Summer-Fall Art Ruby Fox $ 15,000 October Matt Becker Fox 9,000 October Russ Pitts Fox 9,000 November Russ Pitts Fox 9,000 Fall Eric Fellows Fox 3,500 November Jason Houchen Fox 26,108 Fall Jason Houchen Fox 2,300 Fall Russ Pitts Fox 49,350 Summer - Summer 2007 Robert Montgomery Fox 72,000 Total $ 195,258 Non-Cash Investments 28. The defendants and conspirators solicited investments that were also paid in methods other than cash to commence their involvement in 14DailyPlus.com. Those payments to the defendants and conspirators were wire-transferred from the investors accounts into Renfrow s accounts with Heritage Community Credit Union #XX4422 or Bank of America #XXXXXX6504 or XXXXXX4596, or directly deposited by the investor into Renfrow s accounts with Heritage Community Credit Union or Bank of America as follows: Date Victim Transaction Account Amount June 15, Willie Watson Deposit in California 4422 $ 3,000 July 25, William Walters 6504 18,000 10

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 11 of 17 August 18, Eric Fellows August 22, Aubrey Meyer 4596 15,504 4596 6,000 August 24, William Walters August 28, Aubrey Meyer August 31, Eric Fellows September 1, September 6, September 6, October 24, Freddy Kandah James Rizqalla James Rizqalla Robert Montgomery Michigan to California Michigan to California Michigan to California October 31, Charles Malley Texas to California November 10, November 20, November 29, November 29, December 8, Charles Malley Charles Malley Don Stroh Don Stroh Texas to California Texas to California 4596 9,000 4596 6,000 4596 1,488 4596 3,000 4596 5,000 4596 5,000 4596 10,500 4596 9,000 4596 7,000 4596 2,000 4596 9,000 4596 9,000 Susan Bottino Deposit in California 4596 14,000 11

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 12 of 17 December 11, December 11, December 11, Don Stroh Don Stroh Travis Salmon Missouri to California 4596 9,000 4596 9,000 4596 2,500 Total $152,992 Monetary Transactions 29. On or about the dates below, Renfrow knowingly engaged in the monetary transactions identified below, which were by, through, and to a financial institution and affected interstate commerce, in criminally derived property of a value greater than $10,000, with deposits, withdrawals, and transfers of U.S. currency, funds, and monetary instruments in the following amounts, such property having been derived from wire fraud, which is a specified unlawful activity: Date Monetary Transaction Amount August 3, Cash withdrawal from 6504 $ 15,000.00 August 11, August 17, August 25, August 29, August 31, Wire transfer from 6504 to SafePay Solutions, Inc. Wire transfer from 6504 to SafePay Solutions, Inc. Wire transfer from 4596 to SafePay Solutions, Inc. Wire transfer from 4596 to Ameritrade account 0369 Wire transfer from 4596 to SafePay Solutions, Inc. 50,000.00 100,000.00 40,000.00 20,000.00 30,000.00 12

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 13 of 17 September 6, Wire transfer from 4596 to SafePay Solutions, Inc. 30,000.00 October 16, Account transfer from 4596 to 6504 14,000.00 October 16, Check #2007 drawn on account #6504 payable to Saturn of Roseville 13,233.77 October 25, Account transfer from 4596 to 6504 33,000.00 October 30, November 10, November 29, Check #2008 drawn on account #6504 payable to Saturn of Roseville Wire transfer from 4596 to SafePay Solutions account 3103 Account transfer from 4596 to SafePay Solutions account 3103 29,950.00 60,000.00 30,000.00 December 1, Cash withdrawal from 4596 20,000.00 December 11, Account transfer from 4596 to SafePay Solutions account 3103 21,000.00 30. As additional overt acts, the Grand Jury incorporates by this reference the allegations set forth in Count 2 of the Indictment as though fully set forth at this point. 31. This was all in violation of Title 18, United States Code, Sections 371 and 1349. Count 2 WIRE FRAUD 32. The allegations of paragraphs 1-31 above are incorporated as though fully set out herein. 33. On or about April 26, 2007, in the District of Kansas and elsewhere, the defendants, 13

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 14 of 17 ANTHONY RENFROW and WILLIAM BILL FOX, for the purpose of executing the scheme to defraud, transmitted and caused to be transmitted in interstate commerce, by means of a wire communication, certain signs, signals, and sounds, that is, a web-based conference call with participants in Kansas and California, to assure participants in 14DailyPlus.com that their investments were safe and none would lose their funds. defendants, 34. This was in violation of Title 18, United States Code, Sections 2 and 1343. Forfeiture Allegation 35. Upon conviction of one or more of the offenses alleged in Counts 1-2, the ANTHONY RENFROW and WILLIAM BILL FOX, shall forfeit to the United States, pursuant to Title 18, United States Code, Section 981(a)(1)(C) and Title 28, United States Code, Section 2461(c), any property constituting or derived from proceeds obtained directly or indirectly as a result of the said violations, including but not limited to the following: Money Judgment 36. A sum of money approximately $4,825,000.00 in United States currency, representing the amount of proceeds obtained as a result of the offenses set out in Counts 1-2, for which the defendants are jointly and severally liable. Substitute Assets 37. If any of the above-described forfeitable property, as a result of any act or 14

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 15 of 17 omission of the defendants: a. cannot be located upon the exercise of due diligence; b. has been transferred, sold to, or deposited with a third party; c. has been placed beyond the jurisdiction of the court; d. has been substantially diminished in value; or e. has been commingled with other property which cannot be divided without difficulty; it is the intent of the United States, pursuant to Title 21, United States Code, Section 853(p) as incorporated by Title 18, United States Code, Section 982(b), to seek forfeiture of any other property of said defendants up to the value of the forfeitable property described above. 38. This is all in accordance with Title 18, United States Code, Sections 981(a)(1)(c) and 982(a)(1); Title 28 United States Code, Section 2461 (c); and Rule 32.2(a), Federal Rules of Criminal Procedure. A TRUE BILL. Dated: April 18, 2012 s/foreperson FOREPERSON s/scott C. Rask, #15643 for BARRY R. GRISSOM United States Attorney District of Kansas 500 State Avenue, Suite 360 Kansas City, Kansas 66101 15

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 16 of 17 (913) 551-6730 (913) 551-6541 (fax) Barry.Grissom@usdoj.gov Ks. S. Ct. No. 10866 (It is requested that trial of the above captioned case be held in Kansas City, Kansas.) 16

Case 2:12-cr-20041-CM Document 1 Filed 04/18/12 Page 17 of 17 Penalties: Cts. 1-2: NMT 20 years imprisonment; NMT $250,000 or 2xgain or 2xloss fine; NMT 3 years supervised release; $100 special assessment; forfeiture allegation 17