United States v. Doles, No. 10-8096 (10th Cir. 2011)
Annotate this CaseDefendant-Appellant Jeffery Doles appealed his conviction for sentencing after a jury convicted him of unlawfully selling drug paraphernalia. Defendant was given a voluntary surrender date, but fled to Mexico instead of reporting to the Bureau of Prisons. On appeal to the Tenth Circuit, Defendant argued that the district court improperly excluded evidence that would have been material to an affirmative defense of medical necessity for failing to report. The medical issues Defendant claimed arose out of a 1996 car accident in which he was seriously injured. As a result, he was paralyzed from the chest down and takes numerous medications for pain and discomfort. Defendant claims the excluded evidence would have supported a necessity defense: (1) evidence about his physical condition, (2) evidence about his state of mind concerning his physical condition, (3) and evidence about his fears of receiving inadequate care in prison. Finding that Defendant did not and could not have proffered sufficient evidence to establish any of his claims of error, and that Defendant's belief that he had been illegally convicted did not excuse him from reporting to serve his sentence, the Tenth Circuit affirmed the district court's decision.
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