United States v. Terry, No. 22-1961 (6th Cir. 2023)
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Terry pleaded guilty to four counts of distributing a mixture containing fentanyl, 21 U.S.C. 841(a)(1), (b)(1)(C), and was sentenced to 57 months of imprisonment, at the high end of his U.S.S.G. range. He challenged the imposition of the Guidelines’ two-point enhancement for maintaining premises for the purpose of manufacturing or distributing a controlled substance, U.S.S.G. 2D1.1(b)(12). Without the two-level enhancement, the Guidelines range would have been 37-46 months.
The Sixth Circuit affirmed. Terry sold fentanyl from the address and permitted the head of the conspiracy to use his property for drug distribution. The district court adopted the facts in the PSR, stating “the government’s argument as related to the facts which justify the enhancement, are spot on correct.” The PSR listed multiple activities involving Terry’s residence. The conclusion does not change even if no drugs were ever recovered from the house, there is no evidence that Terry cooked, manufactured, or packaged drugs there, no tools of the trade were found at his house, no money was seized from his house, and Terry had other legitimate employment. Distributing drugs “need not be the sole purpose” for the premises; it need only be one of the primary uses for the premises.
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