United States v. Martin, No. 21-1527 (7th Cir. 2021)
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After Martin was arrested for purchasing heroin, his pretrial release was revoked for posting a threat on Facebook with the photo and name of a confidential informant. Martin was sentenced to 43 months’ imprisonment, below the guidelines range of 57-71 months. Martin argued that his asthma made him susceptible to COVID-19, from which he previously recovered, and he had unmet mental health needs in pretrial detention. With a direct appeal of his sentence pending, Martin unsuccessfully moved for compassionate release under 18 U.S.C. 3582(c)(1)(A)(i), raising arguments available on direct appeal.
The Seventh Circuit affirmed. Martin showed no “extraordinary and compelling” reason for release. In arguing that the judge was biased, as evidenced by the judge’s findings that his rap song threatened a confidential informant and that his health did not justify a lower sentence, Martin essentially argued that the sentencing judge improperly weighed his arguments in mitigation and that this error warrants release. His direct appeal provides a means for him to present these arguments that—if correct— would warrant sentencing relief, but he does not have an extraordinary and compelling reason for release now. A claim of errors in the original sentencing is not itself an extraordinary and compelling reason for release.
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