United States v. Candelario, No. 23-1329 (1st Cir. 2024)
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In 2019, Jason Candelario and three co-defendants conspired to rob a Maine resident of drugs and money. During the robbery, one of the co-defendants shot the victim, who survived. Two years later, a federal grand jury indicted the four defendants. In 2022, Candelario pleaded guilty to charges including conspiracy to commit a Hobbs Act robbery, interference with commerce by violence, and illegal possession of a firearm. His co-defendants also pleaded guilty to various charges.
The district court calculated a guideline sentencing range of 140 to 175 months for Candelario. Despite Candelario's request for a 120-month sentence citing mitigating factors such as a difficult childhood and genuine remorse, the court imposed a 175-month sentence. The court found this sentence appropriate due to the seriousness of the crime, Candelario's criminal history, the risk of recidivism, and the need for deterrence.
Candelario appealed his sentence to the United States Court of Appeals for the First Circuit, arguing that it was substantively unreasonable and created an unwarranted disparity with the sentences imposed on his co-defendants. The appellate court affirmed the district court's decision, finding that Candelario's sentence was both reasonable and proportionate. The court noted that the co-defendants had lower guideline sentencing ranges, played different roles in the robbery, and cooperated with the government, which justified their lower sentences. The court also found that the district court had provided a plausible sentencing rationale and a defensible result.
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