United States v Estrada, No. 23-3370 (7th Cir. 2025)
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Carlos Estrada, an Indiana resident, was arrested on February 2, 2023, after arranging the sale of 2,579 grams of heroin to an undercover officer in New Jersey. A search of his Indianapolis residence revealed an additional 371 grams of heroin, a digital scale, and a box containing six pounds of lactose, a cutting agent. Estrada committed this offense six months after being released from prison and starting supervised release for a 2019 heroin-distribution conspiracy conviction in the Southern District of New York.
The United States District Court for the Southern District of Indiana accepted Estrada's guilty plea to one count of possessing with intent to distribute at least 100 grams of heroin. The court sentenced him to 87 months in prison, at the low end of the advisory Sentencing Guidelines range. Estrada appealed, arguing that the district court erred procedurally by not varying downward his criminal history category, which included points from a 2018 misdemeanor marijuana possession conviction.
The United States Court of Appeals for the Seventh Circuit reviewed the case. Estrada contended that the district court did not adequately explain its decision and misapprehended its authority to depart downward. The appellate court found that the district court's explanation was sufficient, considering Estrada's extensive criminal history, including serious juvenile offenses and the fact that he committed the current offense while on supervised release. The court also determined that the district court did not err in its understanding of its authority to vary downward. Consequently, the Seventh Circuit affirmed the district court's sentence of 87 months in prison.
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