United States v. Garcia, No. 12-10189 (9th Cir. 2014)
Annotate this CaseDefendant was convicted of using a pipe bomb to damage a vehicle and apartment building in violation of 18 U.S.C. 844(i). On appeal, defendant challenged his conviction. Applying Russell v. United States and United States v. Gomez, the court concluded that there was sufficient evidence to satisfy Russell's per se rule that all rental property affects commerce sufficiently enough to warrant federal jurisdiction under section 844(i). In this case, the apartments were leased, the apartment building was advertised on the internet, and many of its residents were from out of state. Further, the apartment building was damaged by defendant's use of an explosive device. Therefore, the government satisfied the jurisdictional provisions of section 844(i), and the district court properly denied defendant's motion for a judgment of acquittal. Nothing in United States v. Morrison undermined Russell's per se rule and Morrison did not overrule Russel or Gomez. Accordingly, the court affirmed the conviction.
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Court Description: Criminal Law. The panel affirmed a conviction for using a pipe bomb to damage a vehicle and apartment building in violation of 18 U.S.C. § 844(i). The panel rejected the defendant’s contention that there was insufficient evidence that any damage to the apartment building substantially affected interstate commerce, and that the government therefore did not satisfy the Commerce Clause jurisdictional element of § 844(i). The panel concluded that nothing in United States v. Morrison, 529 U.S. 598 (2000), undermined the per se rule in Russell v. United States, 471 U.S. 858 (1985), that damage to a rental apartment building satisfies the jurisdictional provisions of § 844(i).
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