Kevin Woodruff was convicted by a jury of four counts of interfering with interstate commerce by robbery in violation of the Hobbs Act, 18 U.S.C. § 1951(a). The district court granted Woodruffs post-verdict motion for a judgment of acquittal on all counts.
In a Hobbs Act robbery prosecution, the government is required to prove two things: (1) that the defendant either committed or attempted to commit a robbery, and (2) a nexus between the defendant’s acts and interstate commerce. 18 U.S.C. § 1951(a);
Stirone v. United States,
The district court held that the Supreme Court’s decision in
United States v. Lopez,
We have since held that
Lopez
did not render our use of the
de minimis
standard in Hobbs Act robbery cases constitutionally infirm. In
United States v. Atcheson,
By requiring the government to show that Woodruffs crimes had a substantial effect on interstate commerce, the district court applied the wrong legal standard. Although it appears that the government’s evidence would have been sufficient to support Wood-ruffs conviction under the proper standard, that question is not before this court. The district court may consider that issue on remand, if necessary. The judgment of acquittal is VACATED and the case REMANDED for further proceedings.
