United States v. Ali, No. 13-2208 (8th Cir. 2015)
Annotate this CaseDefendants, naturalized U.S. citizens living in Minnesota, are from Somalia. In 2008, the FBI learned that Ali had contacted al Shabaab, a terrorist organization in Somalia. Both women were charged with conspiring to provide material support to al Shabaab, 18 U.S.C. 2339B(a)(1); Ali with 12 counts of providing material support; and Hassan with making false statements, 18 U.S.C. 1001(a)(2). The government informed defendants that it intended to offer evidence obtained under the Foreign Intelligence Surveillance Act (FISA), 50 U.S.C. 1801. They requested disclosure and suppression of all FISA-obtained evidence. The government filed a declaration by the Attorney General that disclosure of the materials or an adversary proceeding would harm national security. After ex parte review, the court denied the defense motions. At the final status conference, Ali remained seated when court was convened. The court issued ordered all parties to stand when court was called to order. Despite counseling by “learned clerics” she continued to refuse to stand. The court cited Ali for 20 instances of contempt. After a 10-day trial the jury returned a guilty verdict on all counts. For Ali, the court calculated a guidelines range of 360 months to life in prison and imposed a sentence of 240 months’ imprisonment. For Hassan, the court calculated a guidelines range of 360 to 372 months and imposed a sentence of 120 months’ imprisonment. The Eighth Circuit affirmed.
Court Description: Gruender, Author, with Murphy and Smith, Circuit Judges] Criminal case - Criminal law. Defendants' claim that the trial judge should have sua sponte recused himself based on a claim that he was biased against defendants because of their religion or equated Islam with terrorism is rejected; prohibiting defendants from challenging the Secretary of State's designation of al Shabaab as a foreign terrorist organization does not violate their due process rights; Congress's delegation of this authority to the Secretary is not an unconstitutional delegation of legislative power; constitutional challenge to the Foreign Intelligence Surveillance Act rejected; FISA's in camera, ex parte procedures do not violate defendants' due process rights; the district court did not abuse its discretion in determining that it would not disclose the FISA materials to defendants; FISA's probable cause standard was met; no error in denying the motion to sever defendants' trials; Bruton error argument rejected; evidentiary challenges rejected; challenges to the government's closing argument rejected; no error in imposing a terrorism enhancement under Guidelines Sec. 3A1.4; no error in imposing an enhancement under Guidelines Sec. 2M5.3(b)(1)(E); the district court properly considered the 3553(a) factors, and defendant Ali's sentence of 240 months was not substantively unreasonable;the district court did not commit any procedural error in calculating defendant Hassan's sentencing range and her below-advisory-guidelines sentence of 120 months was not substantively unreasonable.
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