United States v. Gustus, No. 18-2303 (8th Cir. 2019)
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Defendant appealed his conviction for assaulting a United States Postal Service employee in violation of 18 U.S.C. 111(a)(1). The Eighth Circuit held that the district court did not err by preventing defendant from presenting a voluntary-intoxication defense because such a defense was unavailable to defendants being charged under section 111(a)(1) where assaulting a federal employee was a general intent crime. The court also held that the evidence was sufficient to support defendant's conviction.
The court also held that Condition 5 of defendant's supervised release was broader than the condition the district court imposed orally. Because it was not clear from the sentencing transcript and other portions of the record exactly how long the district court intended the alcohol-prohibiting condition to apply or whether that issue was moot, the court reversed and remanded for the district court to clarify its position.
Court Description: Melloy, Author, with Benton and Kelly, Circuit Judges] Criminal case - Criminal law. In a case where defendant assaulted a letter carrier, the district court did not err in refusing to permit him to present a voluntary-intoxication defense because assaulting a federal employee in violation in 18 U.S.C. Sec. 111 is a general-intent crime; the evidence was sufficient to support defendant's conviction; one of the written conditions in defendant's supervised release is broader than the condition the court imposed orally; however, the condition may be moot, and the matter is remanded to the district court to determine if it is and, if it is not, for further clarification. Judge Kelly, concurring.
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