Fifth Circuit Blog

Informative summaries of Fifth Circuit Court of Appeals criminal cases.

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United States v. Henry

In United States v. Henry, —- F.4th —-, No. 23-30589 (5th Cir. Oct. 17, 2024), the Fifth Circuit affirmed Henry’s conviction for being a felon in possession of a firearm in violation of 18 U.S.C. § 922(g)(1), but the court vacated his sentence because he did not possess the firearm “in connection with” another crime, as required by USSG § 2K2.1(b)(6)(B).

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United States v. Dajuan Martin

In United States v. Dajuan Martin, —-F.4th —-, No. 23-30917 (5th Cir. Oct. 15, 2024), the Fifth Circuit upheld the defendant’s sentence enhancement for using a firearm with a large capacity magazine, under USSG § 2K2.1(a)(4)(B) & cmt. n.2. Nevertheless, the court vacated the sentence because the written judgment included supervised-release restrictions that the district judge had not orally prounounced at the sentencing hearing.

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United States v. De Bruhl-Daniels

In United States v. De Bruhl-Daniels, —- F.4th —-, No. 22-20650 (5th Cir. Oct. 11, 2024), the Fifth Circuit vacated De Bruhl’s conviction for obstruction under 18 U.S.C. § 1512(c)(2), but it affirmed her conviction and sentencing enhancement for providing false statements in a way that “involve[d]” international terrorism, in violation of 18 U.S.C. § 1001(a).

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United States v. Peña-Rodriguez

In United States v. Peña-Rodriguez, No. 23-40476 (5th Cir. Oct. 11, 2024) (unpublished), the Fifth Circuit affirmed three sentencing enhancements to the defendant’s sentence for harboring an undocumented person for commercial advantage or financial game. Judge James E. Graves, Jr., dissented in part, believing that the court should have remanded the case for resentencing.

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United States v. Jarvis Pierre

In United States v. Pierre, No. 23-30645 (5th Cir. Oct. 10, 2024) (unpublished), the Fifth Circuit affirmed the defendant’s 348-month prison sentence for multiple drug and gun offenses. In a prior appeal, the court had vacated Pierre’s sentence because the district court had improperly deemed him an “armed career criminal,” but on remand, the district court imposed the same sentence.

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United States v. Brent Howard

In United States v. Howard, No. 24-40033 (5th Cir. Oct. 9, 2024) (unpublished), the Fifth Circuit affirmed the defendant’s conviction and sentence for being a felon in possession of a firearm under 18 U.S.C. § 922(g)(1). In part, the court held that Howard’s possession of a second firearm six months after his arrest was “relevant conduct” and “part of the same course of conduct,” which justified a higher Sentencing Guidelines range.

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United States v. Hamilton

In United States v. Hamilton, —- F.4th —-, No. 23-11132 (5th Cir. Sept. 30, 2024), the Fifth Circuit rejected the defendant’s collateral estoppel claim and affirmed the district court’s decision to deny his motion to dismiss.

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United States v. Ritchey

In United States v. Ritchey, —- F.4th —-, No. 23-60468 (5th Cir. Sept. 26, 2024), the Fifth Circuit remanded Ritchey’s case for resentencing after agreeing with his argument that the district court had incorrectly calculated the financial loss caused by his crimes.

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United States v. Kriss

In United States v. Kriss, No. 23-40706 (5th Cir. Sept. 24, 2024), the Fifth Circuit held that the Government had not breached its plea agreement at sentencing. In short, the court reasoned that the Government may argue that a defendant did not accept responsibility even when it has promised to move for a reduced sentence if the district court decides the defendant has accepted responsibility.

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United States v. Crittenden

In United States v. Crittenden, —- F.4th —-, No. 23-50007 (5th Cir. Sept. 24, 2024), the Fifth Circuit affirmed the defendant’s drug conviction despite his claim that the district court had erred by accepting his waiver of conflict-free counsel. The Fifth Circuit also rejected his argument that the jury should have received an instruction on a lesser included offense, although Judge Dennis dissented from that second holding.

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