United States v. Hollins, No. 16-1442 (7th Cir. 2017)
Annotate this CaseHollins pleaded guilty to distributing cocaine base, 21 U.S.C. 841(a)(1) and (b)(1)(B), and was sentenced to 92 months’ imprisonment and eight years of supervised release. After her release, Hollins tested positive for cocaine numerous times and was convicted of theft; the district court required her to spend 120 days in community confinement in jail. Following her release, Hollins tested positive for cocaine several times. The court required 120 days of confinement at an addiction treatment facility. While there, she tested positive for cocaine and was returned to jail. The court modified Hollins’s supervision conditions to add six months of in‐home confinement. While serving that sentence, she was arrested for retail theft. The district court again placed her in community confinement for 120 days. After she resumed in‐home confinement. Hollins pleaded guilty in Illinois to the retail theft charge and was sentenced to one year in state custody. Hollins then failed to report for drug testing. When she reported for her Illinois sentence, she had 31 days of federal in‐home confinement remaining to be served. While Hollins was in state custody, her probation officer petitioned to revoke her supervised release based on her theft convictions. The district court, after a remand, imposed a 28‐month sentence. The Seventh Circuit affirmed. The district court relied on Hollins’s criminal history, repeated violations of the terms of supervised release, and the failure of supervised release and graduated sanctions to deter Hollins’s criminal conduct, and did not commit procedural error.
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