United States v. Saunders, No. 20-2486 (7th Cir. 2021)
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Saunders pleaded guilty to dealing in firearms without a license and possessing a firearm as a felon. Saunders, sentenced to five years’ imprisonment in January 2020, asked the court for compassionate release or, alternatively, to transfer him to home confinement in June 2020. Saunders cited “extraordinary and compelling reasons,” based on his serious risk from the novel coronavirus, given his history of chronic bronchitis, type 2 diabetes, blood clots, a heart attack, other heart problems, diabetic neuropathy, and hypertension, 18 U.S.C. 3582(c)(1)(A)(i).
The district court denied the motion, finding that the 18 U.S.C. 3553(a) factors weighed against release because firearms trafficking is a serious crime that fuels Chicago's ongoing gun violence and Saunders had served only 19 months (including time served before sentencing) of his 60-month sentence. Saunders had not demonstrated that the Bureau of Prisons was unable to control the spread of COVID-19. The court recommended that the Bureau of Prisons place him in a medical facility, and it did so.
The Seventh Circuit affirmed. The court did not abuse its broad discretion in finding that the section 3553(a) factors weighed against release despite the health threat that Saunders faces. Courts are not compelled to release every prisoner with extraordinary and compelling health concerns. The court lacked authority to change Saunders’s place of imprisonment and did not err by declining to review his request for home confinement.
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