Thursday, April 16, 2015

NC Second-Degree Kidnapping Is Crime of Violence

US v. Flores-Granados: Flores-Granados was convicted of second-degree kidnapping in North Carolina in 2007, after which he was deported to his native Honduras. In 2013, he was found in Virginia and eventually pleaded guilty to reentering the country illegally. At issue at sentencing was whether his prior conviction was an "aggravated felony" or "crime of violence" under 2L1.2(b)(1), resulting in an enhancement of either 8 or 16 offense levels. The district court concluded that the conviction was a crime of violence, based on the actual facts underlying the conviction (Flores-Granados broke into a home, threatened the use of a gun, and stabbed the victim with a screwdriver) that showed "the type of violent conduct which justifies the 16-point enhancement."

Flores-Granados appealed his sentence, which the Fourth Circuit affirmed. Although it agreed (and the Government conceded) that the district court erred by analyzing the underlying facts of the prior conviction, rather than the elements or (at most) the Shepard-approved documents, the district court's ultimate conclusion was correct. The court noted that kidnapping is a specifically listed "crime of violence" in the Guidelines and that the elements of second-degree burglary as defined by the North Carolina courts, fall within the generic definition of burglary contemplated by the Guidelines. As the court concluded, "[p]ut simply, the statute is what we mean when we say 'kidnapping.'"

Convictions for Somali Pirates Affirmed

US v. Beyle: Beyle and his codefendant, Abrar, were involved in a Somali pirate raid against a US sailboat, the Quest, which resulted in the death of four Americans on board and the intervention of the US Navy. Both were convicted of 26 counts related to the raid, including murder within the special maritime jurisdiction of the United States (which includes the "high seas") and discharge of firearms during a crime of violence and sentenced to multiple life sentences (some concurrent, some consecutive).

Beyle and Abrar both appealed their convictions, on different grounds, which the Fourth Circuit affirmed. As to Beyle, he argued that the district court lacked jurisdiction on the murder and firearm charges because they took place not on the "high seas" but in Somali territorial waters. The raid occurred in the middle of the Indian Ocean, but the Quest was turned by the pirates toward the Somali coast and was about 30 miles from the coast when the Navy intervened. While that was within the "exclusive economic zone" of Somalia, it was not within the more narrowly defined "territorial waters, which, by international treaty (to which Somalia is a party), extend only 12 miles from the coast.

As to Abrar, he argued that he was denied Fifth and Sixth Amendment rights with regard to his defense of duress - that he had been kidnapped and forced to take part in the raid. The court concluded that his inability to subpoena witnesses was not the fault of the United States, but simply due to the fact that the witnesses were foreign nationals residing in other countries. In addition, there was no evidence that the witnesses actually existed. Therefore, Abrar was not prevented from developing and presented a duress defense.

Lifetime Supervised Release Term Reasonable for CP Defendant

US v. Helton: Helton pleaded guilty to being in possession of child pornography. In a statement to police following the seizure of his computer, Helton admitted the possession, denied sharing it with others, and explained that he had "sought treatment in the past." He was sentenced to 60 months in prison, below the advisory Guideline range, and to a lifetime term of supervised release.

On appeal, the Fourth Circuit affirmed Helton's lifetime term of supervised release. First, the court concluded that there were no procedural errors in the imposition of the sentence. It rejected Helton's argument that the district court had not provided sufficient explanation for why a lifetime term of supervised release was "sufficient, but no greater than necessary." In particular, the court stressed that the district court had concluded that a variance for the term of imprisonment was only appropriate "because she knew that Helton would be subject to a lengthy term of supervised release" and that the district court upheld several of Helton's objections to strict optional conditions of supervised release. Second, the court found the lifetime term (which it described as within the statutory and Guideline ranges) was also substantively reasonable, largely for the same reasons.

Judge Gregory wrote a concurring opinion, in which he praised the district court for "display[ing] courage in varying downward" and hoping that "[p]erhaps, in the future, our Guidelines will evolve to become truly proportional to the severity of our crimes."

NOTE: I argued the case on appeal for Helton.

No Prejudice In Failure to Make Jury Perform Pinkerton Analysis

US v. Rangel: Rangel was convicted at trial of various drug charges, including distribution of more than 1000 kilograms of marijuana, which carried a 120-month mandatory minimum sentence. The jury made a finding that the conspiracy involved that much marijuana, but  was not instructed to determine the amount attributable to Rangel himself under a Pinkerton liability analysis. He was sentenced to 121 months in prison, the bottom of the Guideline range. Rangel filed a 2255 motion, arguing that both trial and appellate counsel were ineffective for failing to request a Pinkerton instruction and that trial counsel was ineffective for failing to object to the amount of relevant conduct attributed to Rangel at sentencing. The district court denied the motion.

On appeal, the Fourth Circuit affirmed the dismissal of Rangel's 2255 motion. With regard to the instruction issue, the court agreed (and the Government conceded) that the jury was not properly instructed and should have been required to perform a Pinkerton analysis in rendering a verdict. Therefore, trial counsel's performance fell below the standard required. However, Rangel was unable to show prejudice because he could not show "a reasonable probability of a different result" at sentencing. Reviewing the evidence at trial, the court concluded that "Rangel's sentence would have been the same with a proper jury instruction" in light of the "overwhelming" evidence against him. Furthermore, the district court would have made the same findings with regard to relevant conduct and the Guideline calculation would have been unchanged. The same analysis applied to appellate counsel's performance, as he would have been saddled with plain error review had the issue been raised. Finally, the same prejudice analysis applied to trial counsel's failure to object to the relevant conduct calculations at sentencing.