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Dubin v. United States

No. 22-10 SCOTUS · Decided Decided SCOTUS
Cert Granted: Nov 10, 2022 Argued: Feb 27, 2023 Decided: Jun 8, 2023

Case Overview

The Supreme Court resolved a circuit split on the reach of the federal aggravated identity theft statute, which carries a mandatory two-year consecutive sentence, addressing whether the law applies whenever a defendant uses another person's means of identification in the course of a covered offense or only when the misuse of identity is itself the mechanism by which the crime is committed.


The Facts

David Dubin overbilled Medicaid for psychological testing services, falsely representing that his patients had received assessments they had not. In processing the fraudulent claims, he necessarily used his patients' real Medicaid numbers. The government charged him with aggravated identity theft under 18 U.S.C. § 1028A, which imposes a mandatory two-year consecutive sentence when a defendant 'uses' another person's 'means of identification' 'during and in relation to' a predicate offense. Multiple circuits disagreed on whether mere use of an ID in connection with fraud satisfies the statute.

The Application

History

Dubin's use of his patients' Medicaid numbers fell short of this requirement because the misuse of identity was not central to his fraud scheme. The scheme's essential mechanism was overbilling for services not provided. Although the government argued that any use of an identifying number in connection with a predicate crime sufficed, the Court found that Dubin's fraudulent claims could have succeeded regardless of whose identifying information was attached to them, making the identity numbers merely incidental to the billing fraud. The distinction proved dispositive: had Dubin's scheme specifically relied on impersonating the patients or trading on their identities, the aggravated identity theft charge would have applied. Instead, because the predicate crime was the false representation about services rendered, not the theft or misuse of identity itself, the mandatory consecutive sentence could not be imposed.

The Conclusion

**Decided June 8, 2023. The Court held 9-0 that § 1028A requires that the use of another's means of identification be at the crux of the underlying crime - not merely incidental.** Because Dubin's fraud turned on inflated billing, not on the misuse of patient identities as such, the aggravated identity theft charge did not apply. The ruling narrowed the statute's reach and invalidated a sweeping approach used by many federal prosecutors.

CourtSupreme Court of the United States
FiledJul 5, 2022
Judge -
CL Statusactive
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No circuit court data for this case.

Cert GrantedNov 10, 2022
Statusactive
Filed (CL)Jul 5, 2022
View on CourtListener →
SCOTUS TMR-887091da Jul 13, 2026
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