United States v. Arce-Ayala, No. 21-1511 (1st Cir. 2024)
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In this case, defendant Samuel Arce-Ayala, a leader of a drug trafficking organization, pled guilty to federal charges related to drug trafficking and firearm possession. He believed, based on his plea agreement and statements made by his lawyer and the district court, that his federal sentence would reflect "credit" for the prison time he served for related non-federal criminal convictions. However, after entering his guilty plea, Arce-Ayala discovered that such credit could not reduce his sentence below the applicable mandatory minimum terms of imprisonment. He moved to withdraw his plea before sentencing, arguing that he didn't understand the consequences of his guilty plea, but the district court denied the motion.
The United States Court of Appeals For the First Circuit vacated Arce-Ayala's criminal judgment of conviction. The court held that Arce-Ayala did not have sufficient "knowledge of the consequences of the guilty plea" because he was told by his defense counsel and the district court that the time he spent in Commonwealth custody would be credited toward his federal sentence. He did not know that the mandatory minimum prison sentence set an inviolable floor as to the amount of credit he could receive for time served on the Commonwealth sentences. As such, his plea violated a "core concern" of Rule 11, which requires a defendant to understand the consequences of a guilty plea, and must be set aside. The case was remanded back to the district court for further proceedings.
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