Justia Criminal Law Opinion Summaries

Articles Posted in US Court of Appeals for the First Circuit
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The First Circuit affirmed the judgment of the district court denying Defendant's request to challenge the reliability of his victim's testimony by cross-examining the victim at Defendant's resentencing hearing, holding that the district court did not violate Defendant's procedural due process rights by disallowing cross-examination of the victim at Defendant's resentencing.Defendant pleaded guilty to kidnapping for ransom. The First Circuit remanded the case for resentencing. On remand, the district court judge sentenced Defendant to eight months less than his previous sentence. On appeal, Defendant argued that his procedural due process rights were violated when the judge denied him the opportunity to contest misinformation about his treatment of the victim during the abduction by cross-examining the victim, which led to the imposition of a sentence based on inaccurate information. The First Circuit disagreed and affirmed, holding that the district court did not err in denying Defendant's request to cross-examine the victim at Defendant's resentencing hearing. View "United States v. Berrios-Miranda" on Justia Law

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The First Circuit affirmed the judgment of the district court sentencing Defendant to forty-eight months in prison for unlawfully possessing a firearm, holding that Defendant's variant sentence was not procedurally unreasonable.The guideline range specified by the presentence report was thirty to thirty-seven months. The district court ultimately imposed a forty-eight-month variant sentence. On appeal, Defendant argued that the district court failed adequately to explain its reasons for imposing an above-guideline sentence, that a variant sentence was not supported by the record, and that the district court relied on erroneous facts. The First Circuit affirmed, holding (1) the district court offered a plausible and coherent rationale for its eleven-month variance; and (2) the district court did not rely on erroneous facts in imposing Defendant's sentence. View "United States v. Rivera-Santiago" on Justia Law

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The First Circuit vacated in part the district court's grant of Defendants' motion to dismiss Plaintiff's complaint, holding that the warrantless search in this case violated the Fourth Amendment because the circumstances, including deception by law enforcement officers, vitiated the consent given by Plaintiff.Plaintiff alleged that he consented to FBI agents' entry into his home and search of his computers only because the officers lied about the true reason of why there were there and what they were looking for. The district court granted Defendants' motion to dismiss for failure to state a claim. The First Circuit vacated in part and affirmed in part, holding (1) because the totality of the circumstances pointed to a situation involving beguilement, the government did not meet its burden to prove voluntariness, and therefore, the warrantless entry into Plaintiff's home and the search and seizure of his computer violated the Fourth Amendment; (2) Defendants were not entitled to qualified immunity on Plaintiff's search-based Fourth Amendment claim because any reasonable officer would have recognized that the circumstances were impermissibly coercive; and (3) even if Plaintiffs' malicious prosecution claim had merit, Defendants would be entitled to qualified immunity. View "Pagan-Gonzalez v. Moreno" on Justia Law

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The First Circuit affirmed Defendant’s conviction of three counts of transporting a minor with intent to engage in criminal sexual activity, holding that Defendant’s sentence was both procedurally and substantively reasonable.Defendant received a within-guidelines sentence of forty-years’ imprisonment in connection with his conviction. On appeal, Defendant argued that his sentence was based on unreliable information in his presentence report, that the district court did not adequately consider his argument that the relevant sex offense guidelines are not supported by empirical evidence, and that his sentence was greater than necessary to achieve deterrence and did not take into account his ability to rehabilitate. The First Circuit affirmed, holding that Defendant did not undermine either the procedural or substantive reasonableness of his within-the-range sentence. View "United States v. Santiago-Colon" on Justia Law

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The First Circuit affirmed the decision of the district court denying Defendant’s motion to suppress and sentencing Defendant, holding that the evidence was not obtained in violation of Defendant’s Fourth Amendment rights and that Defendant was properly sentenced.Defendant was convicted for producing six videos depicting him sexually assaulting a three-year-old child. Defendant appealed the denial of his motion to suppress evidence recovered from his residence and statements he made to law enforcement at his residence and during a later interrogation. The district court concluded that Defendant knowingly and voluntarily consented to the search of his residence and that there was no Fourth Amendment violation. At sentencing, Defendant argued that the charges were multiplicitous because the videos were taken during one continuous sexual assault. The district court disagreed and sentenced Defendant to a fifty-year term of imprisonment. The First Circuit affirmed, holding (1) even assuming that law enforcement committed a Fourth Amendment violation before encountering Defendant, any prior illegality did not influence Defendant’s subsequent consent to the search of his computer and hard drives, and Defendant’s consent to the search was knowing and voluntary; and (2) the proper unit of prosecution under 18 U.S.C. 2251(a), the federal child pornography statute, is each video depicting the victim. View "United States v. Smith" on Justia Law

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The First Circuit affirmed Defendant’s conviction and sentence for two counts of conspiracy to possess and possession with intent to distribute heroin and cocaine base, holding, among other things, that the district court did not err in denying Defendant’s motions to suppress two warrants obtained by law enforcement and evidence obtained from Defendant’s warrantless arrest.Specifically, the Court held (1) there was no error int he issuance of precise location information (PLI) warrants by a magistrate judge allowing monitoring of the locations of Defendant’s two cell phones; (2) the cell phones were not tracking devices under 18 U.S.C. 3117; (3) the PLI warrants did not violate Fed. R. Crim. P. 41(b); (4) the use of rebuttal testimony from a pretrial services officer to impeach a witness was proper; and (5) the sentencing court’s adoption of two sentencing enhancements was not procedurally unreasonable. View "United States v. Ackies" on Justia Law

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The First Circuit reversed the order of the district court dismissing aggravated identity theft counts against three doctors and three employees of a durable medical equipment supplier in Puerto Rico, holding that the motion to dismiss a grand jury indictment did not provide an occasion in this case for determining, over the government’s objection, whether the facts alleged in the indictment were sufficient to establish the charged offense.A United States grand jury indictment indicted Defendants on counts of health care fraud and conspiracy to commit health care fraud and aggravated identity theft. In dismissing the aggravated identity theft counts, the district court concluded that the facts alleged in the indictment did not adequately make out a case for aggravated identity theft. The First Circuit reversed, holding that the proceedings as they stood at this stage provided no occasion for determining whether the government’s proof was sufficient to sustain a conviction, and the record lacked any agreed upon completeness. View "United States v. Rodriguez-Rivera" on Justia Law

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The Supreme Court affirmed the judgment of the district court denying Defendant’s motion to suppress incriminating evidence found during a search and seizure by a local police officer after approaching Defendant, who was seated in a car with his friend in a parking lot, and asking him several questions, holding that the search and seizure were lawful.Based on Defendant’s answers to the officer’s questions, the officer searched the vehicle, found drugs and drug paraphernalia, and arrested Defendant. After Defendant consented to the search of his backpack, further incriminating evidence was found. Defendant moved to suppress the government’s evidence, arguing that the officer lacked reasonable suspicion to initiate and continue the inquiries that led to the discovery of the contraband. The district court denied the motion. The First Circuit affirmed, holding that the district court did not err in finding no Fourth Amendment violation and denying Defendant’s motion to suppress. View "United States v. Tanguay" on Justia Law

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The First Circuit affirmed the district court’s denial of Appellant’s motion to dismiss the indictment against him on double jeopardy and issue preclusion grounds, holding that the Double Jeopardy Clause had no application and that Appellant’s issue preclusion claim would fail on the merits even if it were not waived.In preliminary hearings, Puerto Rico courts concluded that Commonwealth weapons charges against Appellant were not supported by probable cause. Thereafter, Appellant plead guilty to equivalent federal charges based on the same conduct. Appellant later moved the district court to dismiss his indictment as a violation of the Double Jeopardy Clause. After a magistrate judge made a report and recommendation, Appellant raised for the first time his issue preclusion claim. The district court denied Appellant’s motion. The First Circuit affirmed, holding that Appellant was not entitled to relief on his claims. View "United States v. Rosado-Cancel" on Justia Law

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The First Circuit reversed an vacated the order of the district court granting Defendant’s motion to suppress identification evidence and giving preclusive effect to a Puerto Rico Court of Appeals’ order suppressing the same evidence in a local proceeding for different offenses, holding that the district court deviated from this Court’s precedent in so ruling.The district court concluded that because Puerto Rico and the United States are a single sovereign for purposes of the Double Jeopardy Clause, the court was bound by the local court’s judgment suppressing identification evidence, even where federal prosecutors did not participate in the proceedings. The First Circuit reversed, holding (1) the district court deviated from the holding in United States v. Bonilla Romero, 836 F.2d 39, 43-44 (1st Cir. 1987), that suppression of evidence by a Puerto Rico court does not require a federal court to suppress that same evidence unless federal prosecutors were a party, or were in privity with a party, to the suppression hearing in the Puerto Rico court; and (2) because there was no privity between the two prosecuting authorities in this case, collateral estoppel was inapplicable. View "United States v. Santiago-Colon" on Justia Law