USA v. Day, No. 23-2311 (7th Cir. 2024)
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Anthony Day and Omarr Williams were charged with robbing a bank in Hammond, Indiana. Day was identified as the man who brandished a silver revolver during the robbery. After the robbery, the police tracked Day down using a GPS tracker embedded in the stolen cash. They found him in a wooded area, along with cash, an OGIO bag, parts of the robbers' disguises, and two firearms: a silver Smith & Wesson revolver and an American Tactical assault rifle. The police arrested Day and Williams, and a grand jury charged Day with bank robbery, brandishing a firearm during a crime of violence, and being a felon in possession of a firearm.
In the district court, Day moved to exclude reference to the American Tactical assault rifle, arguing that there was no evidence he used it during the robbery. He also requested a unanimity instruction, meaning the jurors would have to agree on which gun he possessed for the charge of being a felon in possession of a firearm. The district court denied both requests, citing a previous decision by the United States Court of Appeals for the Seventh Circuit. The jury found Day guilty on all counts, and he was sentenced to 292 months in prison. Day appealed his conviction for being a felon in possession of a firearm, challenging the district court's failure to give his requested jury instruction.
The United States Court of Appeals for the Seventh Circuit reviewed Day's argument de novo. The court noted that the Sixth Amendment guarantees the right to trial by an impartial jury, which requires jury unanimity for convictions for serious crimes. However, this requirement only applies to the elements of the offense, not the means used to commit an element of the crime. The court explained that the particular firearm possessed is not an element of the crime, but rather the means used to satisfy the element of "any firearm." Therefore, jurors do not need to agree on which weapon the defendant possessed. The court also noted that where a defendant possessed multiple firearms, the government may only bring one charge if the defendant's possession of the firearms was "simultaneous and undifferentiated." The court found that the evidence supported a single course of possession of the firearms, not two distinct instances of possession. Therefore, the court affirmed the judgment of the district court, concluding that no unanimity instruction was required.
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