United States v. David Z. Simpson
695 F. App'x 17
2d Cir.2017Background
- Defendant David Z. Simpson filed a motion under 18 U.S.C. § 3582(c)(2) seeking a sentence reduction based on retroactive Amendments 782 and 788 to the Sentencing Guidelines (lowering drug offense base offense levels).
- The district court denied Simpson’s § 3582(c)(2) motion; this denial was appealed and the case was remanded pursuant to United States v. Jacobson for clarification of the district court’s reasoning.
- On remand the district court clarified that it denied relief by weighing the § 3553(a) sentencing factors and Simpson’s post-sentencing disciplinary record while incarcerated.
- The district court also questioned the credibility of aspects of Simpson’s testimony to the extent they attempted to explain or excuse disciplinary infractions; the court treated post-sentencing conduct as relevant to the § 3582(c)(2) inquiry.
- The Second Circuit reviewed the district court’s discretion to consider § 3553(a) factors and post-sentencing conduct when ruling on a § 3582(c)(2) motion and affirmed the denial of relief.
Issues
| Issue | Plaintiff's Argument | Defendant's Argument | Held |
|---|---|---|---|
| Whether district court may consider § 3553(a) factors in ruling on § 3582(c)(2) motion | U.S.: District court can consider § 3553(a) factors | Simpson: relief should be granted based on guideline amendment reducing range | Held: District court may consider § 3553(a) factors and did not abuse discretion |
| Whether post‑sentencing conduct may factor into § 3582(c)(2) decision | U.S.: Post‑sentencing conduct relevant to public safety and sentencing factors | Simpson: Post‑sentencing infractions should not preclude reduction based solely on guideline change | Held: Post‑sentencing disciplinary record is a proper consideration |
| Whether credibility findings about defendant’s testimony improperly affected § 3582(c)(2) analysis | U.S.: Credibility assessment undermined Simpson’s explanations for infractions | Simpson: Credibility doubts improperly used to deny relief | Held: Credibility assessment was linked to explaining infractions and was permissible |
| Whether district court abused its discretion in denying relief | U.S.: No abuse given consideration of § 3553(a) and prison record | Simpson: Denial was erroneous after guideline amendments | Held: No abuse of discretion; denial affirmed |
Key Cases Cited
- United States v. Jacobson, 15 F.3d 19 (2d Cir. 1994) (procedures for remand and clarification of district court reasoning)
- United States v. Rivera, 662 F.3d 166 (2d Cir. 2011) (review of district court’s discretion in weighing factors for § 3582(c)(2) relief)
- United States v. Simpson, [citation="678 F. App'x 53"] (2d Cir. 2017) (prior appellate order discussing § 3582(c)(2) considerations)
