United States v. Rede-Mendez, No. 10-2509 (6th Cir. 2012)
Annotate this CaseIn 2010 defendant was arrested for driving under the influence and without a license. He admitted that he had reentered the U.S. without permission in 2007, having been removed to Mexico in 2003. The 2003 removal followed a conviction in New Mexico for aggravated assault involving a deadly weapon. He pled guilty to reentering the U.S. after being removed following a conviction for an aggravated felony, 8 U.S.C. 1326(a) and (b)(2). The presentence report utilized U.S.S.G. 2L1.2, which provides for a 16-level enhancement if the defendant previously was deported after conviction for a felony that is a crime of violence. The PSR subtracted three levels for acceptance of responsibility. The recommended guidelines range was 57-71 months of imprisonment. The court departed downward one criminal history level, which reduced the range to 46-57, and, reasoning that the offense was a relatively minor crime of violence and that defendant would not be able to take advantage of certain rehabilitative programs while confined, the district court imposed a below-guidelines sentence of 36 months. The Sixth Circuit vacated. Aggravated assault under New Mexico law is not categorically a crime of violence and available documents do not reveal what version of the offense defendant committed.
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