United States v. Brown, No. 12-3313 (7th Cir. 2013)
Annotate this CaseBrown was the office manager and accountant for Indiana small businesses owned by the Walker family from 1989 until 2009. The family discovered that Brown was embezzling by using company credit cards and checks to pay for personal items and expenses. Brown stole hundreds of thousands of dollars, putting the businesses in financial straits and destroying their credit. Brown was charged with more than 150 counts of wire fraud, mail fraud, and tax fraud and pleaded guilty to a single count of each crime. The advisory guidelines sentencing range was 21 to 27 months’ imprisonment, but the district judge imposed a sentence of 60 months. Weeks later, without warning, the judge filed an amended judgment and attached a written “statement of reasons” to “supplement” his statements in open court. The judge recalculated the guidelines range, adding upward adjustments based on the amount embezzled, the duration of the scheme, and the vulnerability of one victims so that the range was 41 to 51 months. The Seventh Circuit affirmed. The judge did not violate Fed. R. Crim P. Rule 32(h), which requires “reasonable notice” when the court is “contemplating” a departure from the guidelines; “departures” are obsolete. In addition, the statement was filed after Brown appealed, so the court lacked jurisdiction to substantively alter the sentence. Brown’s sentence did not change; in light of the court’s oral pronouncements, that sentence is reasonable.
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