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United States v. Michael Scott
732 F.3d 910
8th Cir.
2013
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Background

  • Seven-count indictment alleging three bank robberies with firearms, a felon-in-possession, and related charges; convictions on counts 1, 2, 5, 6, and 7 and acquittal on counts 3 and 4; district court imposed two life sentences for counts 2 and 6 and 115-month terms on counts 1, 5, and 7; court found upward variance justified by Scott’s criminal history and public safety needs.
  • Robberies followed a common script: masked armed robbers, vault access, getaway in a stolen vehicle, and similar MO across the 2008 Bank Midwest, 2009 Valley View Bank, and 2010 Commerce Bank robberies.
  • Evidence tied Scott to the crimes: Jaguar shown in surveillance; Scott’s DNA on a mask; a/video of him retrieving his Jaguar; a surveillance-driven license plate match; eyewitness identifications.
  • During the suppression motion, Starnes—Scott’s former partner and Jaguar’s driver—consented to a Jaguar search after officers secured the apartment; district court found common authority and voluntary consent.
  • On appeal, Scott challenged (i) Rule 8(a) joinder/Rule 14 severance, (ii) suppression ruling on consent and common authority, and (iii) life sentences; the panel affirmed severance, suppression, and the sentences as procedurally sound and substantively reasonable.
  • Dissent argues the sentence is excessive and would reverse for a 39-year term, highlighting age and proportionality concerns.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Severance of charges permitted by Rule 8(a)? Scott argues misjoinder prejudiced defense. Scott contends severance would avoid prejudice. Joinder proper; no severe prejudice shown.
Validity of Jaguar search under Fourth Amendment Starnes lacked common authority to consent. Starnes had common authority; consent voluntary. Common authority and voluntary consent could justify search.
Reasonableness of life sentences under 3553(a) Sentence excessive given age and 39-year minimum. District court properly weighed factors; life sentences reasonable. Sentence substantively reasonable; affirmed.

Key Cases Cited

  • United States v. Tyndall, 263 F.3d 848 (8th Cir.2001) (joinder/severance framework; Rule 8(a) discussion)
  • United States v. Lindsey, 782 F.2d 116 (8th Cir.1986) (short time between offenses supports joinder)
  • United States v. Rodgers, 732 F.2d 625 (8th Cir.1984) (timeframe for relatively short period supports joinder)
  • United States v. Steele, 550 F.3d 693 (8th Cir.2008) (standard for reviewing severance with prejudice)
  • United States v. Quintero, 648 F.3d 660 (8th Cir.2011) (standard for evaluating voluntariness of consent)
  • Gall v. United States, 552 U.S. 38 (S. Ct. 2007) (procedural/ substantive review of sentencing; defer to district court)
  • United States v. Stults, 575 F.3d 834 (8th Cir.2009) (individualized consideration of §3553(a) factors)
  • United States v. James, 353 F.3d 606 (8th Cir.2003) (common authority concept in Fourth Amendment)
  • United States v. Matlock, 415 U.S. 164 (1974) (common authority concept in consent)
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Case Details

Case Name: United States v. Michael Scott
Court Name: Court of Appeals for the Eighth Circuit
Date Published: Oct 22, 2013
Citation: 732 F.3d 910
Docket Number: 19-8018
Court Abbreviation: 8th Cir.