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United States v. Matthew Rutledge
669 F. App'x 265
5th Cir.
2016
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Background

  • Matthew Rutledge pleaded guilty to conspiracy to possess with intent to distribute 50 grams or more of a methamphetamine mixture, in violation of 21 U.S.C. §§ 841, 846.
  • The PSR attributed a drug-quantity to Rutledge that produced an advisory Guidelines range; the district court sentenced him to 324 months (at the bottom of that range).
  • Rutledge objected, arguing the PSR’s drug-quantity finding was not sufficiently specific or reliable to support the Guidelines calculation.
  • He submitted a letter from one co-defendant claiming that co-defendant’s statements did not implicate Rutledge; he otherwise offered no rebuttal evidence to the PSR’s account.
  • At sentencing the district court considered and overruled Rutledge’s objections, finding the PSR reliable based on statements from multiple co-conspirators and other information.
  • Rutledge appealed, challenging the drug-quantity determination and alleging noncompliance with Fed. R. Crim. P. 32(i)(3)(B).

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Sufficiency/reliability of PSR drug-quantity finding Rutledge: PSR not sufficiently specific or reliable to attribute drug quantity to him Government: PSR is reliable; multiple co-conspirators and other information support quantity Court: Upheld drug-quantity finding — plausible on record; defendant failed to present rebuttal evidence showing PSR unreliable
Standard of review for Guidelines calculation Rutledge: (implicit) district erred in factfinding Government: district properly applied Guidelines and resolved objections Court: Legal application of Guidelines reviewed de novo; factual findings for clear error; here factual finding not clearly erroneous
Compliance with Rule 32(i)(3)(B) Rutledge: district court failed to resolve and rule on disputed PSR portions Government: court explicitly addressed and overruled objections at sentencing Court: Rutledge’s Rule 32 claim unsupported — court explicitly ruled on objections
Burden to rebut PSR Rutledge: PSR unreliable based on one co-defendant’s letter Government: defendant bears burden to present rebuttal evidence Court: Defendant failed to carry burden; conclusory assertions insufficient

Key Cases Cited

  • Gall v. United States, 552 U.S. 38 (establishes procedural framework for post-Booker sentencing review and reasonableness standard)
  • United States v. Cisneros-Gutierrez, 517 F.3d 751 (explains de novo review of guideline application and clear-error review of factual findings)
  • United States v. Betancourt, 422 F.3d 240 (drug-quantity findings reviewed for clear error and upheld if plausible in light of record)
  • United States v. Alford, 142 F.3d 825 (PSR may provide reliable basis for sentencing drug-quantity determinations)
  • United States v. Harris, 702 F.3d 226 (defendant bears burden to present rebuttal evidence demonstrating PSR information is unreliable)
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Case Details

Case Name: United States v. Matthew Rutledge
Court Name: Court of Appeals for the Fifth Circuit
Date Published: Oct 11, 2016
Citation: 669 F. App'x 265
Docket Number: 16-10053 Summary Calendar
Court Abbreviation: 5th Cir.