United States v. Patrone, No. 19-1486 (1st Cir. 2021)
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The First Circuit affirmed Defendant's conviction of one count of conspiracy to distribute and possess with intent to distribute drugs and one count of possessing a firearm as an alien unlawfully present in the United States, holding that Defendant failed to establish a reasonable probability that he would not have pled guilty had he been advised as required by Rehaif v. United States, 139 S. Ct. 2191 (2019).
Defendant pled guilty without the benefit of a plea agreement and was sentenced to 144 months' imprisonment on the drug count and 120 months' imprisonment on the firearm count, to be served concurrently. One month after Defendant's sentencing, the United States Supreme Court issued its opinion in Rehaif. Before the First Circuit, Defendant asked that his conviction on the firearm count be vacated because he did not plead guilty to knowing the facts that made him a person prohibited from possessing a firearm, as Rehaif requires. The First Circuit affirmed, holding (1) Defendant failed to establish that his substantial rights were affected by the district court's failure to anticipate Rehaif; and (2) the district court did not err in imposing a livelihood enhancement that Defendant received at sentencing.
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