USA v. Murat, No. 24-11614 (11th Cir. 2025)
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Kh’Lajuwon Murat was released from prison and began his supervised release. The government petitioned the district court to revoke his supervised release due to seven alleged violations, including failing to submit truthful reports, unauthorized travel, associating with criminals, and committing new offenses. Murat admitted to three violations, and the district court revoked his supervised release, sentencing him to five months’ imprisonment and 54 months’ supervised release. The court held the remaining violations in abeyance.
The district court held a second hearing on Murat’s final day of imprisonment to address the remaining violations. Murat challenged the court’s jurisdiction, but the court found for the government on one violation and dismissed the others. Murat was sentenced to an additional four months’ imprisonment and 48 months’ supervised release. Murat appealed, arguing that the district court lacked jurisdiction to adjudicate the remaining violations after the first revocation and that the second sentence was illegal.
The United States Court of Appeals for the Eleventh Circuit reviewed the case. The court held that the district court retained jurisdiction to adjudicate the remaining violations because the petition was filed before the first revocation. The court explained that revocation does not terminate the term of supervised release, and the district court’s jurisdiction continues during the defendant’s imprisonment. The court also found that the district court’s procedure of holding violations in abeyance and issuing separate revocation orders did not constitute plain error. The judgment and sentence of the district court were affirmed.
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