United States v. Bridges, No. 10-2672 (6th Cir. 2012)
Annotate this CaseIn 2001, Bridges was convicted of misdemeanor domestic violence; the court did not impose a term of incarceration, but sentenced him to one year of probation. In 2010, Bridges was indicted for possessing a firearm after being convicted of a misdemeanor crime of domestic violence, 18 U.S.C. 922(g)(9). Bridges moved to dismiss, arguing that he qualified for one of the exceptions to the firearm restriction, listed in 18 U.S.C. 921(a)(33)(B)(ii). The district court denied the motion and sentenced Bridges to 21 months in prison. The Sixth Circuit affirmed. An individual who has been convicted of a misdemeanor crime of domestic violence is prohibited from possessing a firearm, except that a “person shall not be considered to have been convicted of such an offense . . . if the conviction . . . is an offense for which the person . . . has had civil rights restored.” Under Michigan law, misdemeanants lose their civil rights only while confined in a correctional facility, Mich. Comp. Laws 168.758b.The Supreme Court has held that the “civil rights restored” clause in an analogous provision does not apply to an offender such as Bridges who lost no civil rights.
This opinion or order relates to an opinion or order originally issued on April 16, 2012.
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