United States v. Jaterrius Greer, No. 21-3757 (8th Cir. 2023)
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Defendant pleaded guilty to being a felon in possession of ammunition found after he shot a man in a convenience store in Davenport, Iowa. The victim recovered; both were separately prosecuted. Defendant appealed his 120-month sentence, arguing the district court erred by cross-referencing to the base offense level for attempted first-degree murder.
The Eighth Circuit affirmed. First, the court explained that the district court did not clearly err in finding that Defendant’s swift but deliberate actions before the shooting demonstrate that he acted with the requisite premeditation. Next, the court held that the district court did not clearly err in finding “there is absolutely no evidence of self-defense.” Finally, even if the district court committed clear error in cross-referencing to the attempted first-degree murder guideline, the court would conclude the error was harmless. An incorrect application of the sentencing guidelines is harmless error when the district court “specifically identifies the contested issue and potentially erroneous ruling, sets forth an alternative holding supported by the law and the record in the case, and adequately explains its alternative holding.” Here, the district court’s careful and adequate explanation why the Section 3553(a) factors justified a 120-month sentence renders any guidelines cross-referencing error harmless.