|
|
Office
of the GEB Attorney |
|
|
Laborers'
International Union of North
America |
|
Robert
D. Luskin |
1025 Thomas
Jefferson Street, N.W. |
|
GEB
Attorney |
Suite 420
East |
|
|
Washington D.C.
20007-5243 |
|
|
Phone: (202)
625-1200 |
|
|
Fax: (202) 626-1230 |
|
|
April 23,
1999 |
|
|
|
Laborers' Sewer & Tunnel
Miners Union Local 2
6607 West Archer Avenue
Chicago, Illinois
60638
Copies of this Notice and
Complaint must be posted at the offices of the Laborers' Sewer & Tunnel
Miners Union Local 2
To the Officers and Members
of Local 2:
Pursuant to the LIUNA Ethics
and Disciplinary Procedure, Section 3, the GEB Attorney is delegated all of the
powers of the LIUNA General President "to impose and review the imposition of
trusteeships, over any district council, local or other entity within the
union." Article IX, Section 7 of the International Constitution provides that
the General President may appoint a trustee to take charge and control over the
affairs of a district council when such action is necessary "for the purpose of
correcting corruption or financial malpractice, assuring the performance of
collective bargaining agreements or other duties of a bargaining representative,
restoring democratic procedures, otherwise carrying out the legitimate objects
of such subordinate body of the International Union, or to protect the
organization as an institution." Under this provision of LIUNA's Constitution, a
hearing must be conducted for the purpose of determining whether such a trustee
shall be appointed..
By this letter and the enclosed
trusteeship Complaint, I advise you that I have concluded that the imposition of
a trusteeship over the Laborers' Local 2 is necessary to correct corruption and
financial malpractice, to restore democratic procedures and to carry out
legitimate objects of the International. The grounds for trusteeship are more
specifically set forth in the accompanying Complaint, which is being filed with
LIUNA's Independent Hearing Officer.
Any member or officer of Local
2 is welcome to attend the hearing and to present evidence to the Independent
Hearing Officer. You will be further advised regarding the time, location and
procedures of the hearing. After the hearing has been concluded, the Independent
Hearing Officer will rule on whether a trusteeship is warranted and advise you
of his ruling.
In addition, pursuant to Article IX, Section 6 of the
L.I.U.N.A. Constitution, and Paragraph 3 of the LIUNA Ethics and Disciplinary
Procedure, you are hereby ordered by the GEB Attorney not to dispose of any
record referring or relating to the allegations set forth in the accompanying
Complaint, or the individuals named therein, effective immediately, until
further order of the GEB Attorney. Failure to comply with this order shall
constitute a basis for
_________________________________________________________
Laborers'
Sewer & Tunnel Miners Union Local 2
April 23, 1999
Page
2
disciplinary action under the Ethics and Disciplinary Procedure.
Yours
sincerely,
Robert D. Luskin
Trusteeship Complaint
enclosed.
|
cc: |
Peter F. Vaira,
Independent Hearing Officer |
|
|
Arthur A. Coia, General
President |
|
|
Michael Bearse, General
Counsel |
|
|
Terrence Healy, Regional
Manager |
|
|
W. Douglas Gow, Inspector
General |
____________________________________________________________________________
OFFICE OF THE INDEPENDENT
HEARING OFFICER
LABORERS INTERNATIONAL UNION OF NORTH AMERICA
| |
) | No._________ |
| In re Trusteeship Proceeding | ) | |
| Local 2 | ) | |
| |
) | |
COMPLAINT FOR
TRUSTEESHIP
Pursuant to Section 3 of the LIUNA Ethics and
Disciplinary Procedure and Article IX, Section 7 of the LIUNA Constitution, and
after reviewing evidence that the Inspector General has acquired during his
investigation of Local 2, the GEB Atom has determined that a trusteeship of
Local 2 is necessary to achieve the constitutionally enumerated purposes set
forth below.
In support of this
determination, the GEB Attorney states as follows:
GENERAL
ALLEGATIONS
1.
Local 2, located in Chicago, Illinois, consists of approximately 1,200
members. John Matassa, Jr. ("Matassa"), currently serves as both President and
Business Manager of Local 2. The other members of the Executive Board are:
Dominick DiMaggio, Vice-President; Michael Christopher, Secretary-Treasurer;
Vincent DiVarco, Recording Secretary; Dennis Walthers, Dominick Mancini and
Eugene Jagielo.
2.
Since at least 1985, Local 2 has been corrupted by the influence of
organized crime. The influence of organized crime has been perpetuated through
the
longstanding abuse of democratic process and has resulted in ongoing
financial malpractice and in Local 2's inability to carry out legitimate,
constitutional objectives of a LIUNA affiliate such as independently fulfilling
its obligation to address allegations of mob control.
3.
Matassa, DiMaggio and DiVarco, who are either in the mob or have direct
family ties to the mob, were each hired as salaried Field Representatives in the
mid to late 1980s despite having no prior experience in Local 2. And, without
any opposition from the Executive Board or the general membership, these
individuals quickly took over the positions of President, Business Manager, Vice
President and Recording Secretary of Local 2. Not a single contested election
has been held at Local 2 during this time.
4.
Matassa, Local 2's current President and Business Manager, is deeply
involved in the activities of La Cosa Nostra in Chicago, which is commonly
referred to as the Chicago Outfit. At various times from the late 1970s to the
present, Matassa has been an associate, made member or a boss of the Northside
Crew of the Chicago Outfit. Matassa has repeatedly admitted under oath to a
pattern of close associations with top mob leaders in Chicago for over 25 years.
Some of these top mob leaders include: John "Apes" Monteleone, Alphonse
Tornebene, Sam Carlisi, James Marcello, Michael Marcello, Mike Glitta, Joe
Arnold, Frank "Babe" DeMonte, Joseph "Ceasar" DiVarco, and Vincent Solano. Even
after the Chicago District Council was placed under trusteeship as a direct
result of its corrupt ties to organized crime through Matassa
and
2
other
officials, Matassa admitted under oath that he continues to meet with top mob
figures in Chicago while holding the positions of President and Business Manager
of Local 2.
5.
Since joining the union in 1985, Matassa has enjoyed a meteoric rise to
top leadership positions within Local 2. With the Executive Board's unanimous
approval and without consideration of other candidates, Matassa was hired in
1985 as a salaried Field Representative despite having never been a member of
Local 2. One month after the minimum required time to be eligible to run for an
official position under the Uniform Local Union Constitution, Matassa took over
Local 2's top elected position of Business Manager in an unopposed nomination
process. In 1989, Matassa took over the consolidated positions of President and
Business Manager in an unopposed process. Since at least 1989, Matassa has
exerted complete authority over the salaries of elective officers in violation
of Article IX., Section 6 of LIT-LIUNA's Uniform Local Constitution.
6.
Vincent DiVarco, Local 2's Recording Secretary and Field Representative,
is the son of Joseph "Ceasar" DiVarco. Along with Matassa, Ceasar DiVarco was a
ranking member of the Northside crew of the Chicago Outfit. Ceasar DiVarco was
convicted of gambling charges and died in prison in approximately 1986. Matassa,
who was once indicted with Ceasar DiVarco on extortion charges, has admitted
under oath to closely associating with Ceasar DiVarco on a daily basis over a
period of many years. Vince DiVarco is also the son-in-law
of Chicago Outfit associate James Caporale, a
3
former
Chicago District Council official convicted of looting approximately $2 million
from one of the union's affiliated funds.
7.
Within a year of taking over as Business Manager of Local 2, Matassa
announced a new Field Representative position. Matassa took the
recommendation of the Chicago District Council, which was under the
influence of organized crime at the time, and hired Vince DiVarco. DiVarco
filled Matassa's newly created position with unanimous approval of Local 2's
Executive Board without consideration of other candidates and despite DiVarco's
never having been a member of Local 2. Currently, and throughout his employment
in Local 2, Vince DiVarco has demonstrated an inability to act independently of
Matassa in carrying out the legitimate, constitutional objectives of LIUNA.
8.
Dominick DiMaggio ("DiMaggio"), Vice President and Field Representative
of Local 2, is the nephew of Roy Carlisi and Sam Carlisi. DiMaggio was born and
grew up in the Chicago area. He then moved to Buffalo, New York where he lived
with his uncle, Roy Carlisi, who was a top mob figure 'in Buffalo. While living
with Roy Carlisi, Dominick DiMaggio was an active member of LIUNA Local 2 10
which was then under the influence of organized crime and is currently under an
extended Supervision to rid itself of mob corruption. DiMaggio himself has been
involved in organized crime activities.
9.
Dominick DiMaggio returned to Chicago in approximately
1986.
4
DiMaggio's other uncle, Sam
Carlisi, lived in Chicago and was also a top leader of the Chicago Outfit. Sam
Carlisi was ultimately convicted on RICO conspiracy, gambling, extortion and tax
charges in 1996. Upon DiMaggio's return to Chicago, he immediately obtained a
job in the Chicago District Council, which was then under the influence of
organized crime and is currently under trusteeship to rid itself of mob
corruption.
10.
As Vincent DiVarco had before him, DiMaggio obtained salaried employment
with Local 2 when Matassa announced a new Field Representative position.
DiMaggio filled this position at the recommendation of the mob controlled
Chicago District Council. Like DiVarco and Matassa before him, DiMaggio entered
Local 2 as a salaried Field Representative with unanimous approval and without
consideration of other candidates despite DiMaggio's never having been a member
of Local 2. In addition, Matassa has testified under oath that DiMaggio arranged
golf outings between Matassa and top mob boss Sam Carlisi. Currently, and
throughout his employment in Local 2, Dominick DiMaggio has demonstrated an
inability to act independently of Matassa in carrying out the legitimate,
constitutional objectives of LIUNA.
11.
Michael Christopher joined Local 2 as a salaried Field Representative at
approximately the same time as Matassa. Michael Christopher and the other
members of the Executive Board of Local 2 have demonstrated an inability to act
independently of Matassa in carrying out legitimate, constitutional objectives
of a LIUNA affiliate. Examples of the Executive Board's inability to exercise
independent judgment on behalf
5
of
Local 2 or to separate their own interests from those of Matassa's include, but
are not limited to the following:
a.
For over a decade, Local 2's
Executive Board has followed all of Matassa's hiring recommendations and
decisions. Not a single opposition or dissent to any decision or recommendation
from Matassa on hiring is reflected in the minutes of Local
2;
b.
Local 2's Executive Board voted
to give Matassa complete control over the salaries of all elective officers of
Local 2 in violation of Article IX, Section 6 of LIUNA's Uniform Local Union
Constitution. Not a single opposition or dissent to any decision or
recommendation from Matassa on salary is reflected in the minutes of Local 2. In
exercising his control over salaries at Local 2, Matassa has raised his own
salary and provided himself with special benefits such as a deferred
compensation agreement which was not made available to other officers and was
not disclosed to the Executive Board before it was signed. The deferred
compensation benefit was not submitted to the members for voting in accordance
with Article IX, Section 6 of the Uniform Local Union Constitution.
c.
Local 2s Executive Board has
failed in its duty to take adequate steps to investigate and eradicate the
influence of organized crime within Local 2. Despite receipt of a 91 page
opinion dated February 7, 1998 from LIUNA's Independent Hearing Officer finding
that Matassa is "deeply involved with organized crime in his daily activities"
and identifying Vince DiVarco and Dominick DiMaggio as having direct family ties
to
6
ranking members of the Chicago
Outfit, Local 2's Executive Board has taken no independent, affirmative steps to
investigate or eradicate organized crime influence within the
local;
d.
Local 2's Executive Board has
given approximately $70,000 in union funds to attorneys and investigators
responsible for defending Matassa against charges of mob influence. Despite a
LIUNA GEB Policy that expressly prohibits a local union from paying Matassa's
attorney fees, and despite an affirmative duty to investigate allegations of mob
corruption, Local 2's Executive Board has repeatedly, and without dissent, voted
to pay Matassa's attorneys and his private investigator for a variety of
services
including the
pursuit of an "investigation" of the corruption charges against Matassa. Local
2's Executive Board also voted to give Matassa and Michael Christopher
complete control over payment to attorneys and an investigator who are
simultaneously defending Matassa. Local 2's decision to hire and pay fees to
attorneys and an investigator to conduct an independent investigation of John
Matassa's mob ties at a time when these same attorneys and investigator are
actively defending Matassa against these very allegations is a waste of union
assets and is evidence of the Executive Board's inability to independently
fulfill its duty to address allegations of mob control.
7
GROUNDS FOR
TRUSTEESHIP
A trusteeship of Local 2 is
necessary to eradicate corruption, restore democratic practices, protect the
finances of Local 2 and to carry out the legitimate objects of LIUNA. Local 2's
Executive Board has demonstrated that it is unable to act independently of
Matassa and, even Matassa's possible expulsion from LIUNA would not be
sufficient assurance that the regime Matassa himself has put into place will be
free from the influence of organized crime or able to conduct its affairs in a
manner that furthers to interests of Local 2's membership.
COUNT
I
CORRECTING CORRUPTION
AND
ERADICATING THE CORRUPT
INFLUENCE OF ORGANIZED CRIME
12. In
light of the evidence developed by LIUNA's Inspector General's office and the
facts set forth in the above paragraphs, the GEB Attorney has formed an opinion
that it is necessary to place Local 2 under trusteeship for the purpose of
correcting corruption and eradicating the corrupt influence of organized crime.
Given the past and current association and participation of Local 2's President
and Business Manager with top organized crime figures in Chicago; the action and
inaction of Local 2 which has resulted in the placement and retention of mob
members, mob associates and relatives of mob members in top positions of power
within Local 2; the failure to hold a single democratic, contested election; the
ceding of control over salary determinations to Local
8
2's corrupt President and
Business Manager; and the failure to acknowledge or meaningfully address the
issue of organized crime corruption within Local 2, imposition of a trusteeship
over this entity is necessary to eradicate the influence of organized crime from
the union.
13.
By placing Local 2 under trusteeship, LIUNA will be able to correct the
corrupt abuses of that entity's leadership, more closely monitor the activities
of the Local and take informed, independent, affirmative steps to rid Local 2 of
organized crime Corruption,
COUNT
II
RESTORING DEMOCRATIC
PROCEDURES
14.
In light of the evidence developed by LIUNA's Inspector General's office
and the facts set forth in the above paragraphs, the GEB Attorney has formed an
opinion that it is necessary to place Local 2 under trusteeship for the purpose
of restoring democratic procedures. Given the past and current association and
participation of Local 2's President and Business Manager with top organized
crime figures in Chicago; the action and inaction of Local 2 which has resulted
in the placement and retention of mob members, mob associates and relatives of
mob members in top positions of power within Local 2; the failure to hold a
single democratic, contested election; the ceding of control over salary
determinations to Local 2's corrupt President and Business Manager; and the
failure to acknowledge or meaningfully address the issue of organized crime
corruption
9
within Local 2, imposition of a trusteeship over this entity is necessary to restore democratic procedures to the union.
15. By placing Local 2 under trusteeship, LIUNA will be able to foster open and democratic practices within Local 2 and to assure the proper, democratic appointment and removal of Local 2 officers as necessary.
COUNT
III
CORRECTING FINANCIAL
MALPRACTICE
16.
In light of the evidence
developed by LIUNA's Inspector General's office and the facts set forth in the
above paragraphs, the GEB Attorney has formed an opinion that it is necessary to
place Local 2 under trusteeship for the purpose of correcting certain financial
malpractice. Given the ceding of control over salary determinations to Local 2's
corrupt President and Business Manager; the payment of large amounts of union
funds to attorneys and investigators who are simultaneously working to defend
Local 2's President and Business Manager from charges of organized crime
corruption; as well as other financial abuses that have benefited or may have
benefited mob members, mob associates or relatives of mob members, the
imposition of a trusteeship over Local 2 is necessary to correct financial
malpractice.
17.
By placing Local 2 under
trusteeship, LIUNA will be able to correct financial abuses that exist within
Local 2 and to achieve sound, ethical and independent financial management for
the benefit of its membership.
10
Count
IV
CARRYING OUT THE LEGITIMATE
OBJECTS OF
LIUNA AND ITS AFFILIATES
18.
Certain "objects" of the
International Union are set forth in Article II, Section I of the LIUNA Uniform
Local Union Constitution. The "objects" of Local Unions are set forth in Article
II, Section I of the ULUC and include the responsibility "to fulfill the objects
of the International Union as specified in Article Il, Section I of the
International Union Constitution," ULUC, Art. II, Section l(b). Thus, Local 2 is
obligated to pursue the International's objects in addition to those enumerated
in the ULUC.
19.
Additional objects of the
International and its affiliated entities are set forth in the LIUNA Ethical
Practices Code (*'EPC") and the LIUNA Ethics and Disciplinary Procedure ("EDP"),
which form part of the International Constitution. The EPC sets forth certain
specific ethical practices that "shall apply to the International Union, all
District Councils, every Local Union, all subordinate bodies, and to every
employee, member and officer thereof, and to every union trustee and employee of
any benefit fund or political action committee." The EPC and the EDP set forth
and reinforce standards of conduct in the following areas: Democratic Practices,
Financial Practices, Health, Welfare and Retirement Funds, Business and
Financial Activities of Union Officials and Barred
Conduct.
12
20. In
light of the evidence developed by the Inspector General and the facts set forth
in the above paragraphs, the GEB Attorney has determined that it is necessary to
place Local 2 under trusteeship to carry out the legitimate objects of LIUNA and
its affiliates as expressed in the LIUNA International Constitution, the ULUC,
the EPC and the EDP. Given the past and current association and participation of
Local 2's President and Business Manager with top organized crime figures in
Chicago; the action and inaction of Local 2 which has resulted in the placement
and retention of mob members, mob associates and relatives of mob members in top
positions of power within Local 2; the failure to hold a single democratic,
contested election; the ceding of control over salary determinations to Local
2's corrupt President and Business Manager; and the failure to acknowledge or
meaningfully address the issue of organized crime corruption within Local 2,
Local 2 is currently unable to carry out the legitimate, constitutional
objectives of a LIUNA affiliate. Specifically, Local 2 has
failed:
a.
To fulfill the objects of the International Union as specified in Art.
11, Sec. I of the International Union Constitution, ULUC, Art. 11, Sec. I (b);
b.
To conduct its affairs in a manner which would most tend to enhance,
conserve and protect the welfare and interest of the International Union, its
affiliates and members. ULUC Art. 11, Sec. I (c);
c
To perform and carry out its objects and functions in accordance with the
provisions of this Constitution, the International Union Constitution and the
Uniform District Council Constitution, ULUC, Art. 11, Sec. l(d);
12
d.
To unite under [LIUNA's] banner all persons engaged in work within its
jurisdiction... for their mutual benefit, aid and protection. LIUNA
Constitution, Art. II, Sec. I (a);
e.
To promote a better understanding by government and the public of the
alms and objects of this Organization and the Labor Movement as a whole. LIUNA
Constitution, Art, II, Sec. 10);
f.
To take all such other action as may tend to conserve and promote the
welfare and interest of this International Union, its affiliates and members.
LIUNA Constitution, Art, II, Sec. I (r);
g.
To protect the democratic rights of LIUNA's members to participate fully,
without fear, abuse, or intimidation in all Union affairs; to ensure that each
member shall have the right to run for office, to nominate through duly
established constitutional procedures, and to vote in free, fair and honest
elections; to ensure that the union's operations shall be conducted in a
democratic and fair manner; and to ensure that corruption, discrimination or
anti democratic procedures shall not be permitted under any circumstances, EPC,
Democratic Practice's Section; and
h.
To make meaningful efforts to eradicate corruption and prohibit barred
conduct, which is defined to include: committing any act of racketeering;
knowingly associating with any member or associate of organized crime; knowingly
permitting any member or associate of the LCN to exercise control or influence
over the affairs of the Union; or obstructing or interfering with the LIUNA
Inspector General. EPC and EDP, Barred Conduct Sections.
13
CONCLUSION
Wherefore, the GEB Attorney
respectfully requests that, upon due notice and hearing, the Independent Hearing
Officer impose a temporary trusteeship on LIUNA Local 2.
Respectfully submitted,
s/Robert D
Luskin
Robert D Luskin, GEB Attorney
Dwight P. Bostwick
Mathew E.
Paul
Date: April_,
1999
14
Laborers for JUSTICE © 1999 All rights reserved. Not for publication or rebroadcast on other web sites without express written permission of Laborers for JUSTICE. Scanned and web published as a service for LIUNA members in an effort to raise money to finance LMRDA lawsuits against corrupt union officials.. d