United States v. Robey, No. 15-2172 (7th Cir. 2016)
Annotate this CaseFrom 2009-2011, Robey operated a “chop shop.” He and his associates stole cars, altered their identities using office and computer equipment, and then sold them. He was convicted by a jury. The district court sentenced him to 110 months’ imprisonment and three years of supervised release. The Seventh Circuit affirmed, rejecting arguments that Robey did not receive a speedy trial, in violation of the Speedy Trial Act, 18 U.S.C. 3161(c)(1), 3162, and the Sixth Amendment and that district court erred in allowing the government to amend the indictment by dropping 19 of the 25 charges and erred at sentencing by finding that Robey’s theft of 10 vehicles, in addition to the four vehicles forming the basis of his conviction, constituted relevant conduct. The court upheld a finding that only 28 days had elapsed on Robey’s pre‐trial speedy trial clock. The court did not abuse its discretion in granting 10 ends‐of‐justice continuances for Robey and one for the prosecution. The evidence presented at trial and sentencing was more than sufficient to support the district court’s finding of a “pattern of relevant conduct that far exceeded in its details the four cars that were stolen that were before the jury.”
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