United States v. Uriarte, No. 19-2092 (7th Cir. 2020)
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Uriarte, a gang member, was convicted of racketeering, drug crimes, and two counts of using a firearm to commit a kidnapping, 18 U.S.C. 924(c). A conviction for a single count of using a firearm to commit a crime of violence carries a mandatory minimum penalty of five years’ imprisonment, which is elevated to seven years if the firearm was “brandished” during the crime. Before the First Step Act, a second section 924(c) violation triggered a 25-year mandatory minimum, even if the counts were asserted in a single indictment. Under the First Step Act, only a second violation committed after a prior conviction for the same offense triggers the 25-year minimum. At Uriarte’s 2013 sentencing, the court calculated a mandatory minimum of 42 years’ imprisonment: 10 years from the racketeering and drug charges, seven years for the first firearm offense because it involved brandishing a weapon, and 25 years for the second firearm offense. The court sentenced Uriarte to 50 years, well below the Guidelines recommendation. The Seventh Circuit remanded, citing the Supreme Court’s “Alleyne” decision--brandishing is an element of section 924(c) that must be found by a jury. At the time of the enactment of the First Step Act, Uriarte was convicted, but unsentenced.
The Seventh Circuit affirmed his resentencing under the First Step Act, to 20 years’ imprisonment: 10 years for the drug and racketeering offenses, five years for the first firearm offense without the brandishing enhancement, and five years for the second firearm offense.
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