United States v. Mendenhall, No. 19-7006 (10th Cir. 2019)
Annotate this CaseIn 2018, a burglar broke into H&H Pawn Gun & Tool (H&H) and stole a substantial amount of property. An inventory revealed that 62 firearms were among the property stolen. Of the 62 firearms, only 13 to 15 were eventually recovered. A subsequent investigation by the sheriff’s office and the Bureau of Alcohol, Tobacco, Firearms and Explosives led to Stoney Mendenhall. Numerous pieces of evidence suggested Mendenhall committed the burglary. Notwithstanding this evidence and for reasons not stated in the record, Mendenhall was not charged with burglary. Instead, in a single-count indictment, a grand jury only charged Mendenhall with “knowingly possess[ing], receiv[ing] and conceal[ing] a stolen firearm.” Mendenhall pleaded guilty to knowingly possessing and concealing the firearms listed on the indictment. In the plea colloquy, he did not go further and accept guilt for the burglary or other related acts. Mendenhall did not object to any provision of the PSR at sentencing. The district court sentenced Mendenhall to 34 months’ imprisonment followed by three years of supervised release and ordered Mendenhall to pay restitution to H&H in the amount recommended by the PSR. At issue before the Tenth Circuit in this case was the appropriate scope of the restitution order. Relying on controlling Supreme Court precedent, the Tenth Circuit concluded Congress authorized restitution only “for the loss caused by the specific conduct that is the basis of the offense of conviction.” In ordering restitution for losses related to, but not arising directly from, defendant’s offense of conviction, the district court exceeded the range of restitution authorized by the Mandatory Victims Restitution Act. Accordingly, the Court reversed.
Some case metadata and case summaries were written with the help of AI, which can produce inaccuracies. You should read the full case before relying on it for legal research purposes.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.