United States v. Colon-Cordero, No. 22-1171 (1st Cir. 2024)
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In the case before the United States Court of Appeals for the First Circuit, the defendant, Luis Ángel Colón-Cordero, was convicted of violating the terms of his supervised release and charged with new criminal conduct, including the possession of a firearm. The district court sentenced Colón-Cordero to an upwardly variant sentence for his new criminal conduct and a maximum term of imprisonment for violating his supervised release, which were to run consecutively. Colón-Cordero appealed, challenging the sentences as unreasonable.
The appeals court vacated and remanded the case for resentencing. The court held that the district court had not adequately justified or explained its upward variance from the sentencing guidelines in the new criminal conduct case. Specifically, the appeals court found that the district court had not adequately engaged with the mitigating impact of Colón-Cordero's intellectual disability, despite this being a primary argument presented by his defense.
In the case of the revocation sentence, the appeals court held that the district court's finding that Colón-Cordero was "constantly engaging in the illegal use of controlled substances" during his supervised release period was clearly erroneous. The record showed that Colón-Cordero had only tested positive for drug use twice during his release period, contradicting the district court's characterization of his drug use as constant. The court concluded that this error may have affected the sentencing outcome. The case was remanded for resentencing to a different judge.
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