United States v. Reynolds, No. 23-1968 (7th Cir. 2024)
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Donald Reynolds began a 60-month term of supervised release in 2020 after serving a lengthy prison sentence. During his supervision, he tested positive for methamphetamine twice. Despite efforts by the United States Probation Office to help him access drug treatment services, Reynolds failed to participate in the recommended programs. Consequently, the Probation Office petitioned to revoke his supervised release. At the revocation hearing, Reynolds admitted to violating his release conditions, and the district court revoked his supervised release, sentencing him to 21 months of custody.
The United States District Court for the Northern District of Indiana initially handled the case. After Reynolds tested positive for methamphetamine, the Probation Office referred him to a recovery center. When he tested positive again, an intensive outpatient program was recommended, but Reynolds did not comply. The Probation Office then petitioned for revocation. A magistrate judge ordered Reynolds to participate in an inpatient drug treatment program, but he struggled with obtaining his mental health medications and attempted suicide. After leaving the treatment facility without permission, he was arrested.
The United States Court of Appeals for the Seventh Circuit reviewed the case. Reynolds argued that the district court erred by not recognizing its discretion to consider substance abuse treatment as an alternative to revocation and incarceration. The appellate court affirmed the district court's decision, noting that even if the district court had realized its discretion under 18 U.S.C. § 3583(d), it would not have opted for further treatment given Reynolds's history of noncompliance. The court concluded that any error in the district court's understanding of its discretion was harmless, as the outcome would have been the same.
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