United States v. Harris

by
The Fourth Circuit affirmed defendant's 20 year sentence for conspiracy to manufacture and distribute marijuana. The court held that the district court adequately conducted a de novo sentencing hearing by performing an individualized assessment of all relevant sentencing factors; the district court did not clearly err in declining to apply the acceptance-of-responsibility reduction under USSG 3E1.1; under Fourth Amendment precedent, the court was compelled to hold that kidnapping under North Carolina law was a crime of violence under USSG 4B1.2; and it was not clear that the career offender enhancement was grossly disproportionate, facially or as applied to defendant's criminal history. The court held that the district court appropriately decided not to restrict public access to the entire sentencing memorandum, but it erred by not granting the less restrictive remedy of allowing defendant to file a redacted version of the memorandum. Accordingly, the court reversed the denial of defendant's motion to seal his sentencing memorandum and remanded for the filing of a redacted version of the memorandum for public records. View "United States v. Harris" on Justia Law