United States v. Gonzalez-Valencia, No. 23-3126 (D.C. Cir. 2025)
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Gerardo Gonzalez-Valencia, a leader of the Mexican drug-trafficking organization Los Cuinis, coordinated shipments of tens of thousands of kilograms of cocaine into the United States over a decade. He used various methods to conceal the drugs and employed violence and threats of violence in his operations. In 2016, a grand jury in the District of Columbia indicted him for conspiracy to distribute more than five kilograms of cocaine. He was arrested in Uruguay, where he fought extradition for four years. Despite his arguments against extradition based on the potential for a life sentence in the U.S., he was eventually extradited without any assurances from the U.S. regarding his sentence.
The United States District Court for the District of Columbia sentenced Gonzalez-Valencia to life imprisonment after he pleaded guilty to the conspiracy charge without a plea agreement. The court calculated his base offense level and applied several enhancements, resulting in a recommendation of life imprisonment under the Sentencing Guidelines. Gonzalez-Valencia appealed his sentence, raising procedural and substantive claims, including objections to his criminal history category and the application of sentencing enhancements.
The United States Court of Appeals for the District of Columbia Circuit reviewed the case. The court found that Gonzalez-Valencia's objections to the sentencing enhancements did not constitute plain error and that his argument regarding the Ex Post Facto Clause was not supported by clear legal precedent. The court also rejected his claim that the district court was required to comply with Uruguay's condition against a life sentence, noting that the U.S. made no such assurances. The court affirmed the district court's sentence, concluding that there was no reversible error or grounds for remand under 28 U.S.C. § 2106.
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