United States v. Coats, No. 18-13113 (11th Cir. 2021)
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Coats, then a convicted felon, was arrested after making several (recorded) controlled drug sales to a confidential informant (CI). Coats was housed at the Wilkinson County jail, where the CI was also in custody. Coats gained access to the CI and punched him. That incident resulted in additional state charges for battery and influencing a witness, to which he pleaded guilty.
Coats then pled guilty as a felon in possession of a firearm, 18 U.S.C. 922(g)(1). The district court sentenced Coats to serve 235 months' imprisonment under the Armed Career Criminal Act (ACCA), which applies when a defendant who is convicted under section 922(g) has three prior convictions for a “serious drug offense” or a “violent felony.” Coats had a 2003 Georgia burglary conviction, which the court determined was a violent felony under ACCA. The court denied an acceptance-of-responsibility reduction to his sentencing range, citing his obstructive conduct preceding his guilty plea.
The Eleventh Circuit affirmed. Any Rehaif error was nonprejudicial; Coats was not informed of section922(g)’s essential "knowledge" requirement, but he made no attempt to show that he would not have pled guilty but for that error. Of the 12 criminal convictions identified in his PSR, at least four were for felonies. Coats did not dispute the PSR’s description of his criminal history. The burglary conviction qualifies as an ACCA violent felony and the district court did not clearly err in refusing to award an acceptance-of-responsibility reduction.
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