Fernandez v. United States, No. 21-12915 (11th Cir. 2024)
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In 2007, Luis Fernandez and others conspired to rob a fictional cocaine stash house set up by law enforcement. They were arrested en route to the stash house with loaded firearms. Fernandez was indicted on multiple charges, including conspiracy and attempt to possess cocaine, conspiracy and attempt to commit Hobbs Act robbery, and carrying a firearm in furtherance of a crime of violence or drug trafficking crime under 18 U.S.C. § 924(c). The jury found him guilty of the Hobbs Act charges and the § 924(c) charge but acquitted him of the drug-related charges. He was sentenced to 360 months in prison.
Fernandez's direct appeal was unsuccessful. In 2016, he filed a motion under 28 U.S.C. § 2255 to vacate his sentence, arguing that his § 924(c) conviction was invalid under Johnson v. United States, which invalidated the residual clause of the Armed Career Criminal Act (ACCA). The district court denied the motion as untimely and procedurally defaulted. In 2020, Fernandez sought to file a second § 2255 motion based on United States v. Davis, which invalidated § 924(c)’s residual clause. The Eleventh Circuit granted his motion, acknowledging that his conviction might be unconstitutional under Davis.
The United States Court of Appeals for the Eleventh Circuit reviewed Fernandez's appeal. The court held that Fernandez could not prove that his § 924(c) conviction rested solely on the residual clause, as required by Beeman v. United States. The court noted that the jury's general verdict did not specify which predicate offense supported the § 924(c) conviction. Additionally, the court found that the legal landscape at the time of Fernandez's conviction did not clearly establish that only the residual clause could support his conviction. Consequently, the court affirmed the district court's denial of Fernandez's § 2255 motion.
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