United States v. Belanger, No. 17-1462 (1st Cir. 2018)
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The First Circuit affirmed Defendant’s convictions for conspiracy to distribute and possess with intent to distribute five kilograms or more of cocaine and an unspecified amount of oxycodone and using and maintaining a drug-involved premises and Defendant’s sentence of eleven years’ imprisonment.
The Court held (1) even if the district court erred in allowing “interpretative testimony” of various wiretapped calls, the admission did not affect Defendant’s substantial rights; (2) the Government presented sufficient evidence to support the conspiracy conviction; (3) the district court did not err in refusing to give Defendant’s proposed “multiple-conspiracy” jury instruction; (4) the Government’s closing statement characterizing the law regarding withdrawal was far from model, but there was no error when the judge gave what was arguably a curative instruction; and (5) even if the district court erred in calculating Defendant’s sentence, any error would be harmless.
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