U.S. v. Olson, No. 20-4564 (4th Cir. 2024)
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Timothy Olson, a fifth-grade teacher, used peer-to-peer software to download approximately 100 child pornography videos depicting the sexual abuse of prepubescent children. Olson admitted to downloading the videos and understanding the software due to his master's degree in information systems management. He pled guilty to transporting and possessing child pornography involving minors under twelve.
The United States District Court for the Western District of North Carolina sentenced Olson to 120 months’ imprisonment and a 30-year term of supervised release with numerous special conditions. Olson did not object to these conditions at sentencing. He later appealed, challenging six of the supervised release conditions as substantively unreasonable.
The United States Court of Appeals for the Fourth Circuit reviewed the case. The court applied the plain error standard because Olson did not object to the conditions at the time of sentencing. The court found that each of the six challenged conditions was reasonably related to Olson’s offense, history, and characteristics, and that none involved a greater deprivation of liberty than necessary. The conditions included restrictions on interacting with felons, refraining from excessive alcohol use, submitting to suspicionless searches, avoiding places frequented by children, and not possessing children’s items without permission.
The Fourth Circuit held that the district court did not abuse its discretion in imposing these conditions. The court affirmed the district court’s judgment, concluding that the conditions were substantively reasonable and aligned with statutory goals of deterrence, public safety, and rehabilitation.
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