Sunday, March 29, 2020

Buford V, United States Essays - Buford V. United States

Buford V, United States Brief of BUFORD v. UNITED STATES Certiorari to the united states court of appeals for the seventh circuit No. 99-9073. Argued January 8, 2001--Decided March 20, 2001 TYPE OF CASE. This case has to deal with the certiorari (Latin for to be informed) from the United States Court of appeals for the seventh district. This case raises a question of the sentencing laws. What is the standard of review as it applies when a court of appeals reviews a trial courts Sentencing Guideline determination as to whether an offenders prior convictions were consolidated, hence related, for purposes of sentencing? In particular, should the appeals court review the trial courts decision deferentially or de novo? FACTS OF THE CASE The trial court decision at issue focused on one aspect of the United States Sentencing Guidelines' treatment of career offenders, a category of offender subject to particularly severe punishment. The Guidelines define a career offender as an offender with at least two prior felony convictions for violent or drug-related crimes. United States Sentencing Commission, Guidelines Manual ?4B1.1 (Nov. 2000) (USSG). Petitioner Buford pleaded guilty to armed bank robbery. At sentencing, the Government conceded that her four prior robbery convictions were related, but did not concede that her prior drug conviction was related to the robberies. The drug crime (possession of, with intent to deliver, cocaine) had taken place about the same time as the fourth robbery, and Buford claimed that the robberies had been motivated by her drug addiction. But the only evidentiary link among the crimes was that the police had discovered the cocaine when searching Buford's house after her arrest for the robberies. Moreover, no formal order of consolidation had been entered. The State had charged the drug offense in a separate indictment and had assigned a different prosecutor to handle the drug case. A different judge had heard Buford plead guilty to the drug charge in a different hearing held on a different date; two different state prosecutors had appeared before the sentencing court, one discussing drugs, the other discussing the robberies; and the sentencing court had entered two separate judgments. Petitioner Buford pointed out that the State had sent the four robbery cases for sentencing to the very same judge who had heard and accepted her plea of guilty to the drug charge; that the judge had heard arguments about sentencing in all five cases at the same time in a single proceeding; that the judge had issued sentences for all five crimes at the same time. The Court of Appeals found the functional consolidation question a close one, and wrote, The standard of appellate review may be disparities. 201 F. 3d, at 940. It decided to review the District Court's decision deferentially rather than de novo. Id., at 942. And it affirmed the trial courts sentencing. LEGAL ISSUE Should the Seventh Circuit Court consider the convictions of the robberies and drug charge sentence as consolidated for sentencing, and hence related, even if a sentencing court did not enter a formal consolidation order due to logically related and sentencing was joint. This case concerns functional consolidation. and decide whether Buford's five 1992 Wisconsin state-court convictions were related to one another, and consequently counted as one single prior conviction, or whether they should count as more than one thus allowing stricter sentencing guidelines. HOLDING AND DECISION The Seventh Circuit Court believed that the Appellate Court was right to review this trial court decision deferentially rather than de novo. The need for special competence of the district court helped to make deferential review appropriate. That is to say, the District Court is in a better position than the Appellate Court to decide whether a particular set of individual circumstances demonstrates functional consolidation. In addition, factual nuance may closely guide the legal decision, with legal results depending heavily upon an understanding of the significance of case-specific details. See Koon v. United States, supra, at 98-99 (District Court's detailed understanding of the case 2before it and experience with other sentencing cases favored deferential review); Cooter & Gell v. Hartmarx Corp., 496 U. S. 384, 403-404 (1990) (fact-intensive nature of decision whether to impose sanctions under Federal Rule of Civil Procedure 11 made deferential review

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