United States v. Hart, No. 19-3718 (3d Cir. 2020)
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In 2005, Hart was convicted of possessing crack cocaine with intent to distribute. The Sentencing Guidelines recommended 35 years to life imprisonment; because of his extensive criminal record and the amount of crack, his mandatory minimum sentence was life. The 2010 Fair Sentencing Act lowered Hart's mandatory minimum to 10 years. The 2018 First Step Act made those lower minimums retroactive. The Eastern District of Pennsylvania U.S. Attorney’s Office and Federal Defender’s Office formed a committee that identified prisoners who were eligible for lower sentences, calculated new sentences, and submitted them for court approval. The committee incorrectly believed that eligible inmates could be resentenced only within their new Guidelines range, not below it. For Hart, the committee negotiated a 35-year sentence, which Hart accepted. Hart later asked the court to lower his sentence more based on the 18 U.S.C. 3553(a) factors. The court denied Hart’s motion, reasoning that Hart’s Guidelines range depended mainly on his criminal history, not on the amount of crack he had possessed. The court did not consider the 3553(a) factors nor Hart’s personal growth. The court added that Hart had gotten one sentence reduction and could not have another.
The Third Circuit remanded. The Act’s section 404(c) bar on second resentencings is not jurisdictional and it is fair to accept the government’s waiver of that bar. When a court rules on a First Step Act resentencing motion, it must consider the applicable section 3553(a) factors.
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