US v. Terrick Robinson, No. 21-4121 (4th Cir. 2022)
Annotate this Case
A jury convicted Defendant of various offenses relating to his leadership of a drug-trafficking ring, including a charge of distribution of fentanyl resulting in death. On appeal, Defendant advanced three main arguments. First, he contends he was denied his right to a speedy trial under the Sixth Amendment and 18 U.S.C. Section 3161. Second, he argued the government failed to prove that fentanyl was the but-for cause of the victim’s death and that the district court erred in denying his proposed instruction on but-for causation. Finally, he challenged the sufficiency of the evidence supporting his other convictions.
The Fourth Circuit affirmed. The court first concluded that the eight-month period between the filing of the indictment and the appearance of Defendant’s codefendant was a “reasonable period of delay” that the district court properly excluded under the Act. Next, the court wrote that on balance, the four constitutional speedy-trial factors weigh in the government’s favor. Thus the court held that the district court didn’t err in denying Defendant’s motion. Further, the court concluded that the jury could have found that “the [fentanyl] was not only a necessary, but-for cause of the death, but it was also independently sufficient, by itself, to cause the victim’s death, even without the influence of any other factors.” As such, while this case may have been more appropriately tried under a but-for causation theory, the court found no reversible error on Count Ten.
Some case metadata and case summaries were written with the help of AI, which can produce inaccuracies. You should read the full case before relying on it for legal research purposes.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.