Federal 7th Circuit Court
Criminal Court
Restitution
Dist. Ct. did not commit plain error in entering restitution order of $44,618.50 pursuant to Mandatory Victims Restitution Act (MVRA) as part of defendant’s sentence on kidnapping and robbery charges stemming from defendant’s acts of ordering two bank tellers at gunpoint to go into his car and drive him away from robbery scene. Record showed that one bank teller incurred ongoing costs associated with psychiatric care arising out of instant incident, and Dist. Ct. could properly interpret section 3663A of MVRA under plain error standard to include costs for psychiatric care without additional showing that said victim incurred physical injuries arising out of incident.