United States v. Caldwell, No. 24-3134 (10th Cir. 2025)
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Cledale Caldwell pled guilty to failing to register as a sex offender, a federal offense that spanned 13 months. During this period, he was convicted and sentenced for two separate offenses in Oklahoma. At sentencing for the failure-to-register offense, the district court assessed criminal history points for the Oklahoma offenses. Caldwell objected, arguing that these offenses should be considered relevant conduct, which would result in a lower sentencing range under the United States Sentencing Guidelines. The district court disagreed, leading to this appeal.
The United States District Court for the District of Kansas sentenced Caldwell under the 2023 Guidelines Manual. The court included Caldwell’s Oklahoma offenses in his criminal history, resulting in a total of 11 criminal history points and a Guidelines range of 21 to 27 months. Caldwell argued that the Oklahoma offenses should be treated as relevant conduct because they occurred during the commission of the SORNA offense, which would have reduced his criminal history points and the corresponding sentencing range.
The United States Court of Appeals for the Tenth Circuit reviewed the case. The court held that relevant conduct under U.S.S.G. § 1B1.3(a)(1)(A) includes acts or omissions that occurred during the commission of the offense of conviction but must also relate to that offense. The court found that Caldwell’s Oklahoma offenses did not relate to his failure-to-register offense and were therefore correctly included in his criminal history. The Tenth Circuit affirmed the district court’s decision, maintaining Caldwell’s sentence of 21 months in prison.
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