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{\ DAG/CJB Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 1 of F="!L.f:D 11 ltv Or--. ~"!:tv. courrr APR IN THE UNITED STATES DISTRICT COURT Cf-/AAL_ 30 (Of FOR THE SOUTHERN DISTRICT OF ALABAMA sa D; SOUTHERN DIVISION. ~ AD, JA CL..f:Af(. UNITED STATES OF AMERICA v. JOHN PATRICK COUCH, M.D., XIULU RUAN, M.D., THE GRAND JURY CHARGES: INDICTMENT Criminal No. 15-000 ~~-C.() USAO No.: 13R00521 VIOLATIONS 21 u.s.c. 846 18 u.s.c. 1349 Forfeiture Notice INTRODUCTION 1. Defendant JOHN PATRICK COUCH, M.D. is a physician licensed to practice medicine in the State of Alabama. 2. Defendant XIULU RUAN, M.D. is a physician licensed to practice medicine in the State of Alabama. 3. Together, COUCH and RUAN co-own a medical practice named Physician' s Pain Specialists of Alabama ("PPSA.") PPSA has two clinic locations in Mobile, Alabama- one at 2001 Springhill A venue, and the other located at 4682 Airport Boulevard. 4. COUCH and RUAN also co-own a pharmacy named C&R Pham1acy, which is located adjacent to the PPSA clinic on Airport Boulevard in Mobile, Alabama. 5. COUCH and RUAN both employ physician' s extenders, such as physician' s assistants ("P A"), certified registered nurse practitioners ("CRNP"), and certified registered nurse anesthetists ("CRNA") at PPSA. COUNT ONE (CONSPIRACY TO DISTRIBUTE CONTROLLED SUBSTANCES) 21 U.S.C. 846 6. The Grand Jury incorporates number paragraphs 1-5 of this Indictment as if fully 1

set forth herein. 7. Beginning in or about January 2011, and continuing through the date of this Indictment, in the Southern District of Alabama, Southern Division, and elsewhere, the defendants, JOHN PATRICK COUCH, M.D., and XIULU RUAN, M.D., conspired with each other and with others, both known and unknown to the Grand Jury, to knowingly, willfully, and unlawfully distribute and dispense, and cause to be distributed and dispensed, Schedule II controlled substances, including, but not limited to: Oxycodone (brand name: Oxycontin), Oxycodone Hydrochloride (brand name: Roxicodone ), Oxymorphone (brand name: Opana)., Hydromorphone (brand name: Dilaudid), Morphine, Fentanyl, and Methadone, outside the usual course of professional practice and not for a legitimate medical purpose, in violation oftitle 21, United States Code, Section 841(a)(l). All In violation of Title 21, United States Code, Section 846. COUNT TWO (CONSPIRACY TO COMMIT HEALTHCARE FRAUD) 18 U.S.C. 1349 8. The Grand Jury incorporates number paragraphs 1-5 ofthis Indictment as if fully set forth herein. 9. Beginning. in or about January 2011, and continuing through the date of this Indictment, in the Southern District of Alabama, Southern Division, and elsewhere, the defendants, Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 2 of 11 JOHN PATRICK COUCH, M.D., and XIULU RUAN, M.D., did knowingly, willfully, and unlawfully combine, conspire, confederate, and agree with each other and others, both known and unknown to the Grand Jury, to knowingly and willfully execute, and attempt to execute a scheme and artifice to defraud healthcare benefits programs, and to 2

Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 3 of 11 obtain, by means of false and fraudulent pretenses, representations, and promises, money and property owned by, and under the custody and control of, healthcare benefits programs in connection with the delivery of and payment for healthcare benefits, items, and services, in violation of Title 18, United States Code, Section 1347(a). Objective of the Conspiracy 10. The objective of the conspiracy was to unlawfully increase the amount of reimbursement PPSA, and thus JOHN PATRICK COUCH, M.D. and XIULU RUAN, M.D., received from ~ealthcare benefits programs. Manner and Means 11. The manner and means used to achieve this objective included, but werere not limited to, the following: A. During patient visits at PPSA, patients provide a urine sample for a _point-of-care urine drug screen ("UDS"). The alleged purpose of the UDS was to determine whether a patient was taking the medications prescribed to them and to ensure that the patient was not taking medication not prescribed to them. However, after running the in-house UDS, patients' urine samples were sent to outside laboratories for a much more expensive gas chromatography-mass spectrometer ("GC/MS") analysis. The GC/MS analyses were billed to patients', insurance providers under the false pretense that they were necessary tests. However, the GC/MS analyses were ordered primarily because of the extremely high rate of reimbursement paid by insurance providers for these tests. Thus, COUCH and RUAN ordered thousands of GC/MS analyses under false pretenses to increase profits. B. Patient services performed by PPSA physician extenders were fraudulently billed to patients' insurance providers under the unique National Provider Identifier number assigned to JOHN PATRICK COUCH, M.D. Insurance providers reimburse at 3

Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 4 of 11 a higher rate for patient services performed by a physician, compared to services performed by a physician extender. Thus, by submitting bills for reimbursement under COUCH's NPI when the patient service had been performed by a physician extender, insurance providers were fraudulently induced to reimburse PPSA at a higher rate. All in violation of Title 18, United States Code, Section 1349. FORFEITURE NOTICE Pursuant to Rule 32.2(a), Fed. R. Crim. P., the allegations contained in Counts One and Two of this Indictment are hereby repeated, re-alleged, and incorporated by reference herein as though fully set forth at length for the purpose of alleging forfeiture pursuant to Title 21, United States Code, Section 853; Title 18, United States Code, Section 982(a)(7); and Title 28, United States Code, Section 2461. If JOHN PATRICK COUCH, M.D. and XIULU RUAN, M.D. are convicted of Count One or Two of this Indictment, they are jointly and severally liable for the amounts subject to forfeiture. CONSPIRACY TO DISTRIBUTE AND DISPENSE FORFEITURE The allegations contained in Count One of this Indictment are hereby re-alleged and incorporated by reference for the purpose of alleging forfeiture pursuant to Title 21, United States Code, Section 853. Upon conviction of an offense as sef forth in Count One of this Indictment, the defendants JOHN PATRICK COUCH, M.D. and XIULU RUAN, M.D., shall forfeit to the United States of America, pursuant to Title 21, United States Code, Section 853, any property, real or personal, which constitutes or is derived from any proceeds the defendants COUCH and RUAN, obtained, directly or indirectly, as the result of such violation(s), and any property used, or intended to be used, in any manner or part, to commit, or to facilitate the commission of, such violation(s). The property to be forfeited includes, but is not limited to, the following: 4

Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 5 of 11 1. The contents of the following accounts associated with PPSA and C&R Pharmacy: A. Wells Fargo account ending in x6971, in the name of Physician's Pain Specialist of Alabama (PPSA); B. Wells Fargo account ending in x1719, in the name ofc&r, L.L.C.; C. Wells Fargo account ending in x7003, in the name of C&R Pharmacy, L.L.C. 2. The contents of the following accounts associated with XIULU RUAN, M.D.: A. State Bank & Trust account ending in x5553, in the name ofxlr Exotic Autos, L.L.C.; B. State Bank & Trust account ending in x5264, in the name of Ruan Companies, L.L.C; C. State Bank & Trust account ending in x6197 in the name ofxiulu Ruan; D. Wells Fargo account ending in x1921, in the name of XLR Properties, L.L.C.; E. Wells Fargo account ending in x1212, in the name of Physicians Weight Loss and Wellness, L.L.C.; F. Community Bank account ending in x9013, in the name of Xiulu Ruan; G. Capital One Sharebuilder Investment Account ending in x6197-0l in the name ofxiulu Ruan; H. Voya Financial40 lk account plan# ending in x7 645 in the name of I. College Counts 529 Fund, account ending in x3712, owned by J. College Counts 529 Fund, account ending in x3713, owned by 3. The contents of the following accounts associated with JOHN PATRICK COUCH, M.D.: A. Wells Fargo account ending in x0015, in the name of John Patrick B.. Wells Fargo account ending in x6997, in the name of Physician's Compounding Solutions, L.L.C.; C. Wells Fargo Account ending in x9824, in the name of John Patrick Couch D. Wells Fargo account ending in x6989, in the name of JPC Properties, L.L.C.; E. Trustmark account ending in x0135, in the name of John Patrick 5

Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 6 of 11 Couch, M.D.; F. E-Trade Investment account ending in x4755, in the name of J.P. G. E-Trade Investment account ending inx8497, in the name ofjohnp. H. E-Trade Investment account ending in x8363, in the name of J.P. I. Voya Financial401K account plan# ending in x7645, in the name of John J. Allianz ~uity account ending in x6369, in the name of John P. K. Allianz Annuity account ending in x5389, in the name of John P. L. College Counts 529 Fund, account ending in x2423, owned by John P. M. College Counts 529 Fund, account ending in x8641; owned by John P. N. College Counts 529 Fund, account ending in x2406; owned by John P. Couch. 4. The following vehicles associated with XIULU RUAN, M.D.: A. Aston Martin DB9 Volante, VIN #SCF AB02AX6GB04617; B. Audi R8 Spyder VIN #WUATNAFG2BN002379 C. 2007 Bentley Continental GT, VIN #SCBDR33W47C048251; D. 1987 BMW M6, VIN #WBAEE1400H2560721; E. Ferrari F430 Convertible, VIN #ZFFEW59A070156841; F. Ferrari 599 GTB, VIN #ZFFFC60A270150619; G. 1994 Lamborghini Diablo, VIN #ZA9DU07PZRLA12227; H. 2008 Lamborghini, VIN #ZHWBU47M78LA02880;. I. 2005 Mercedes SLR, VIN #WDDAJ76E45M000070; J. 2011 Mercedes Model SLS AMG, VIN #WDDRJ7HA2BA002474; K. 2013 Mercedes SLS AMG GT, VIN #WDDRK7JAODA010048; L. Shelby Series 1, VIN #5CXSA1816XL000159; M. Spyker C9 Laviolette #XL9BA11 G69Z363202; 5. The following vehicles associated with JOHN PATRICK COUCH, M.D.: A. 2008 Cadillac Escalade, VIN 1GYFK66848R221963; B. 2010 Land Rover, VIN SALAK2D44AA519810; C. 2013 Maserati, VIN ZAM45VLA3D0072574; D. 2015 Porsche 911, VIN #WPOBB2A96FS135380; 6. The following real property associated with XIULU RUAN, M.D.: 6

Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 7 of 11 A. 2800 Churchbell Ct. Mobile, Alabama; B. 1301 Leroy Stevens Road, Mobile, Alabama; 7. The following real property associated with JOHN PATRICK COUCH, M.D.: A. 319 Woodbridge Drive Daphne, Alabama; B. Unit #7, 25040 Perdido Beach Blvd Orange Beach, Alabama; C. Unit C-804, 28105 Perdido Beach Blvd Orange Beach, Alabama. 8. A money judgment against JOHN PATRICK COUCH, M.D. and XIULU RUAN, M.D., representing a sum of money equal to the proceeds the defendants obtained, directly or indirectly, as a result of a violation of Title 21, U.S.C. 846. All pursuant to 21 U.S.C. 853 and 28 U.S.C. 2461(c). CONSPIRACY TO COMMIT HEALTH CARE FRAUD FORFEITURE The allegations contained in Count Two of this Indictment are hereby re-alleged and incorporated by reference for the purpose of alleging forfeiture. Pursuant to the provisions of Title 18, United States Code, Section 982(a)(7) and Title 28, United States Code Section 2461, if convicted of the offense set forth in Count Two, defendants JOHN PATRICK COUCH, M.D. and XIULU RUAN, M.D. shall forfeit property, real or personal, that constitutes or is derived, directly or indirectly, from gross proceeds traceable to the commission of the offense. The property to be forfeited includes, but is not limited to, the following: 1. The contents of the following accounts associated with PPSA and C&R Pharmacy: A. Wells Fargo account ending in x6971, in the name of Physician's Pain Specialist of Alabama (PPSA); B. Wells Fargo account ending in x1719, in the name of C&R, L.L.C.; C. Wells Fargo account ending in x7003, in the name of C&R Pharmacy, L.L.C. \ 2. The contents of the following accounts associated with XIULU RUAN, M.D.: A. State Bank & Trust account ending in x5553, in the name of XLR Exotic Autos, L.L.C.; B. State Bank & Trust account ending in x5264, in the name of Ruan 7

Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 8 of 11 Companies, L.L. C; C. State Bank & Trust account ending in x6197 in the name ofxiulu Ruan; D. Wells Fargo account ending in x1921, in the name of XLR Properties, L.L.C.; E. Wells Fargo account ending in x1212, in the name of Physicians Weight Loss and Wellness, L.L.C.; F. Community Bank account ending in x9013, in the name of Xiulu Ruan; G. Capital One Sharebuilder Investment Account ending in x6197-0l in the name of Xiulu Ruan; H. Voya Financial401K account plan# ending in x7645 in the name of I. College Counts 529 Fund, account ending in x3712, owned by J. College Counts 529 Fund, account ending in x3713, owned by 3. The contents of the following accounts associated with JOHN PATRICK COUCH, M.D.: A. Wells Fargo account ending in x0015, in the name of John Patrick B. Wells Fargo account ending in x6997, in the name of Physician's Compounding Solutions, L.L.C.; C. Wells Fargo Account ending in x9824, in the name. of John Patrick Couch D. Wells Fargo account ending in x6989, in the name of JPC Properties, L.L.C.; E. Trustmark account ending in x0135,.in the name of John Patrick Couch, M.D.; F. E-Trade Investment account ending in x4755, in the name of J.P. G. E-Trade Investment account ending inx8497, in the name ofjohnp. H. E-Trade Investment account ending in x8363, in the name of J.P. I. Voya Financial401K account plan# ending in x7645, in the name of John J. Allianz Annuity account ending in x6369, in the name of John P. K. Allianz Annuity account ending in x5389, in the name of John P. 8

Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 9 of 11 L. College Counts 529 Fund, account ending in x2423, owned by John P. M. College Counts 529 Fund, account ending inx8641; owned by John P. N. College Counts 529 Fund, account ending in x2406; owned by John P. Couch. 4. The following vehicles associated with XIULU RUAN, M.D.: A. Aston Martin DB9 Volante, VIN #SCF AB02AX6GB04617; B. Audi R8 Spyder VIN #WUATNAFG2BN002379 C. 2007 Bentley Continental GT, VIN #SCBDR33W47C048251; D. 1987 BMWM6, VIN#WBAEE1400H2560721; E. Ferrari F430 Convertible, VIN #ZFFEW59A070156841; F. Ferrari 599 GTB, VIN #ZFFFC60A270150619; G. 1994 Lamborghini Diablo, VIN #ZA9DU07PZRLA12227; H. 2008 Lamborghini, VIN #ZHWBU47M78LA02880; I. 2005 Mercedes SLR, VIN #WDDAJ76E45M000070; J. 2011 Mercedes Model SLS AMG, VIN#WDDRJ7HA2BA002474; K. 2013 Mercedes SLS AMG GT, VIN #WDDRK7JAODA010048; L. Shelby Series 1, VIN #5CXSA1816XL000159; M. Spyker C9 Laviolette #XL9BA11G69Z363202; 5. The following vehicles associated with JOHN PATRICK COUCH, M.D.: A. 2008 Cadillac Escalade, VIN 1 GYFK66848R221963; B. 2010 Land Rover, VIN SALAK2D44AA519810; C. 2013 Maserati, VIN ZAM45VLA3D0072574; D. 2015 Porsche 911, VIN #WPOBB2A96FS135380; 6. The following real property associated with XIULU RUAN, M;D.: A. 2800 Churchbell Ct. Mobile, Alabama; B. 1301 Leroy Stevens Road, Mobile, Alabama; 7. The following real property associated with JOHN PATRICK COUCH, M.D.: A. 319 Woodbridge Drive Daphne, Alabama; B. Unit #7, 25040 Perdido Beach Blvd Orange Beach, Alabama; C. Unit C-804, 28105 Perdido Beach Blvd Orange Beach, Alabama. 8. A money judgment against JOHN PATRICK COUCH, M.D. and XIULU RUAN, M.D., representing a sum of money equal to the gross proceeds the 9

~- --- ---- Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 10 of 11 defendants obtained, directly or indirectly, as a result of a violation of Title 18, United States Code, Section 1349. All pursuant to the provisions oftitle 28, U.S.C., 2461, and Title 18, U.S.C. 982(a)(7). SUBSTITUTE ASSETS If any of the property described above as being subject to forfeiture, as a result of any act or omission of the defendants, JOHN PATRICK COUCH, M.D. and XIULU RUAN, M.D., (a) (b) (c) (d) (e) cannot be located upon the exercise of due diligence; has been transferred or sold to, or deposited with, a third party; has been placed beyond the jurisdiction of the court; has been substantially diminished in value; or 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 18 U.S.C. 982(b)(l), and 28 U.S.C. 2461, and Rule 32.2 Fed. R. Crim. P., to seek forfeiture of any other property of said defendants up to the value of the forfeitable property described above. A TRUE BILL KENYEN R. BROWN 1};7;~y FOREMAN, UNITED STATES GRAND JURY SOUTHERN DISTRICT OF ALABAMA ---------v Vicki M. Davis Assistant U.S. Attorney Chief, Criminal Division 10

Case 1:15-cr-00088-CG-B Document 1 Filed 04/30/15 Page 11 of 11 Jd~)) Deborah A Griffin ~ Attorney -?k?d u Chr" topher J. BDdllar Assistant U.S. Attorney APRIL 2015 11