AMY TOTENBERG, District Judge.
Presently before the Court is the Magistrate Judge's Report and Recommendation (R&R) recommending that the instant pro se motion to vacate brought pursuant to 28 U.S.C. § 2255 be denied. [Doc. 91]. Movant has filed his objections in response to the R&R. [Doc. 93].
A district judge has broad discretion to accept, reject, or modify a magistrate judge's proposed findings and recommendations.
Movant was arrested in a sting operation in which a law enforcement official, posing as the mother of a thirteen-year-old girl, placed an advertisement on Craigslist seeking a man to provide "fatherly attention" to her daughter. Movant responded to the ad and exchanged emails and numerous text messages with the "mother" in which they discussed his having sex with the thirteen-year-old girl. Movant then drove some fifty minutes from his home in Douglasville, Georgia, to a home in Lithonia, Georgia, where he intended to have sex with the girl. Upon his arrival at the home, officials arrested him.
After a jury trial, Movant was convicted in this Court for attempting to persuade, induce, or entice a minor to engage in sexual activity in violation of 18 U.S.C. § 2422(b). [Doc. 45]. This Court imposed a sentence of 120 months to be followed by a supervised release for life. [Doc. 51]. The Eleventh Circuit affirmed Movant's conviction and sentence. [Doc. 65].
In the R&R, the Magistrate Judge reviewed Movant's claims and concluded that he had failed to establish that he was entitled to relief. Movant's extensive objections to the R&R fail to establish that the Magistrate Judge erred. This Court will briefly address those objections.
Movant first argues that the Magistrate Judge misrepresented and/or misconstrued some of the messages he exchanged with the police officer who was posing as the girl's mother. These arguments concern (1) who first mentioned sex with the girl, (2) who first suggested that the fictitious mother send Movant a photograph, (3) the fact that the fictitious mother told Movant that she had talked to her daughter about having sex with a man, and (4) Movant's repeated claims that he went to the home in Lithonia intending only to have sex with the mother. These assertions clearly relate to the sufficiency of the evidence, and, in affirming Movant's conviction, the Eleventh Circuit found that Movant's "email and text message conversations with `Amy,' the fictitious mother of `Emily,' demonstrate a clear intent on [Movant]'s part to cause or stimulate the occurrence of unlawful sexual contact between him and Emily."
Movant also dedicates a significant portion of his objections arguing about his trial counsel's failure to have a copy of the Operational and Investigative Standards for the Internet Crimes Against Children program (the "ICAC Standards") admitted into evidence and whether the law enforcement officers involved in arresting Movant properly followed those standards. Again, these arguments are irrelevant. The Eleventh Circuit concluded that Movant failed to demonstrate that "the failure [of the trial court] to admit the ICAC Standards themselves had a substantial influence on the jury's verdict."
Movant's next arguments relate to his claim that the Government violated the Posse Comitatus Act, 18 U.S.C. § 1385, because a special agent of the Air Force Office of Special Investigations may have participated in the task force that conducted the operation in which Movant was arrested. This Court agrees with the Magistrate Judge that these arguments are unavailing. Movant failed to demonstrate that the military investigator was involved in his arrest or the investigation of his crimes. [Doc. 91 at 33]. Moreover, the Posse Comitatus Act is a criminal law proscribing the use of the military in domestic law enforcement. Nothing in the Act or in its legislative history suggests that violations of that statute would give rise to the dismissal of an indictment or exclusion of evidence.
Movant argues that the Magistrate Judge erred in denying relief on his claim that his trial counsel was ineffective in failing to present an entrapment defense. This Court agrees with the Magistrate Judge that Movant cannot demonstrate prejudice in support of his ineffective assistance claim because Movant's entrapment claim has no merit. Establishing entrapment requires showing "(1) government inducement of the crime, and (2) lack of predisposition on the part of the defendant to commit the crime before the inducement."
Turning to Movant's arguments that the Magistrate Judge erred in denying relief on his claims related to his assertion that he was selectively prosecuted, this Court agrees with the Magistrate Judge's analysis. Selective prosecution claims are judged "according to ordinary equal protection standards."
The remainder of Movant's claims discussed in his objections are simply frivolous. Movant's arguments that the Government withheld exculpatory evidence or that his trial counsel failed to discover and present exculpatory evidence fail because the evidence — for example, the fact that the Government did not find any incriminating files on his computer and a letter in which Movant's step daughter insisted that he had never engaged in inappropriate behavior around her — is not exculpatory.
Movant's claims of prosecutorial misconduct are entirely insubstantial. The worst that can be said of the prosecutor is that he made an immaterial misstatement in an appellate brief. Other than making conclusory assertions, Movant has failed to establish that the Government presented perjured testimony, and this Court fully agrees with the Magistrate Judge that the Government's opening and closing arguments were appropriate. [Doc. 91 at 36]. Movant's claims regarding irregularities in the grand jury proceedings simply fail to state a claim for relief. Movant's supervised release claim is clearly defaulted, and he has not even attempted to demonstrate cause and prejudice to lift the procedural bar. Finally, Movant's claim that his trial counsel was ineffective for failing to call an expert on pedophilia to explain to the jury that Movant did not fit the profile of a pedophile fails because such testimony would not have effectively countered the extensive evidence of Movant's guilt.
For the foregoing reasons, the R&R, [Doc. 91], is hereby