United States v. Gates, No. 21-2134 (2d Cir. 2023)
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Defendant challenged the procedural and substantive reasonableness of the forty-five-year sentence imposed by the district court following her guilty plea to one count of conspiracy to sexually exploit a child and two substantive counts of sexual exploitation of a child. On appeal, Defendant argues that the district court erred when it (1) predetermined her sentence at the outset of the sentencing proceeding, (2) failed to verify at sentencing whether she and her counsel had read and discussed the presentence investigation report, (3) miscalculated her offense level under the United States Sentencing Guidelines, and (4) imposed a substantively unreasonable term of imprisonment.
The Second Circuit affirmed. The court rejected Defendant’s contentions that the district court predetermined her sentence and imposed a substantively unreasonable term of imprisonment. The court also rejected Defendant’s claim that the district court’s purported miscalculation of her offense level under the Guidelines warrants remand in this case. With respect to Defendant’s remaining argument, the court agreed that the district court failed to verify whether she and her counsel had read and discussed the PSR in advance of sentencing, as is required by Federal Rule of Criminal Procedure 32(i)(1)(A). The court concluded that the error was not prejudicial.
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