United States v. Bryant, No. 20-1078 (2d Cir. 2021)
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The Second Circuit held that defendant does not qualify for relief afforded by Section 401(a) of the First Step Act. Defendant was convicted in 2007 of conspiracy to distribute more than 50 grams of cocaine base in violation of 21 U.S.C. 812, 841(a), 841(b)(1)(A), and 846 (Count One), among other offenses, and sentenced principally to a 300-month term of imprisonment. The district court reduced his term of imprisonment to 215 months in 2020.
The court concluded that the plain text of Section 401(c) limits the retroactive effect of Section 401(a), making its relief available to defendants who committed offenses before the First Step Act became law but only if they have not yet had a sentence imposed as of the date of enactment. The court also concluded that Section 404(b) of the First Step Act does not require a district court to engage in "plenary resentencing" or "recalculate an eligible defendant's Guidelines range, except for those changes that flow from Sections 2 and 3 of the Fair Sentencing Act," United States v. Moore, 975 F.3d 84, 92 (2d Cir. 2020). In this case, because defendant's original sentence on Count One was imposed in 2007—long before the date of the enactment of the First Step Act—he is precluded by Section 401(c) from benefiting from Section 401(a)'s changes to the sentencing enhancement of Section 841(b)(1)(A), which are unrelated to Sections 2 and 3 of the Fair Sentencing Act. Accordingly, the court affirmed the district court's 2020 order.
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