USA V. JOSE RAMIREZ-RAMIREZ, No. 21-10127 (9th Cir. 2022)
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Defendant was tried for possession of marijuana with intent to distribute and conspiracy to do the same during a one-day bench trial. Defendant subsequently filed a motion for findings of fact under Federal Rule of Criminal Procedure 23(c). Although he acknowledged that the motion might be untimely because the rule requires that such a motion be made “before the finding of guilty or not guilty,” Defendant argued that he had been unaware that the court intended to deliver its finding without a hearing. The district court denied the motion.
The Ninth Circuit vacated the judgment of conviction. The panel held that the district court plainly erred by making only a written finding of guilt after trial, in violation of Defendant’s Sixth Amendment right to a public trial. The panel concluded that, although the usual remedy would be a remand to announce the finding in open court, the district court had already reiterated its finding of guilt publicly during Defendant’s sentencing, rendering such a remedy superfluous.
The panel further held that, because the finding of guilt was legally insufficient, the district court erred in denying as untimely Defendant’s motion for specific findings of fact. Instead, the panel vacated the defendant’s sentence and remanded for the district court to make specific findings of fact.
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Court Description: Criminal Law The panel vacated a judgment of conviction, following a bench trial, for possession of marijuana with intent to distribute and conspiracy to do the same and remanded for specific findings of fact. The panel held that the district court plainly erred by making only a written finding of guilt after trial, in violation of the defendant’s Sixth Amendment right to a public trial. The panel concluded that, although the usual remedy would be a remand to announce the finding in open court, the district court had already reiterated its finding of guilt publicly during the defendant’s sentencing, rendering such a remedy superfluous. The panel further held that, because the finding of guilt was legally insufficient, the district court erred in denying as untimely the defendant’s motion for specific findings of fact. Instead, the panel vacated the defendant’s sentence and remanded for the district court to make specific findings of fact. UNITED STATES V. RAMIREZ-RAMIREZ 3
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